• Representation of clients within appellate procedures
  • Preparation of appeals against additional tax assessments
  • Emphasising of particular incorrectness and unlawfulness of the challenged tax assessment letter
  • Strict application of all rights of the tax subjects
  • Insisting on observance by the tax authorities of all basic principles of tax administration
  • Submitting of all evidence in favour of the tax subject
  • Insisting on observance by the tax authorities of the rules for the allocation of the burden of proof
  • References to relevant case law