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Referent: Dr. Herbert Becherer Seite 1 Avoidance and settlement of tax disputes Speaker:Dr. Herbert Becherer, Steuerberater (tax adviser) Vice-President of Bundessteuerberaterkammer (Federal Chamber of Tax Advisers), Germany Vice-President of the CFE St. Petersburg International Legal Forum 18 May 2012 in St. Petersburg
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Referent: Dr. Herbert Becherer Seite 2 Avoidance and settlement of tax disputes 1.Principals of the tax procedure Compliance and equality of taxation The tax authority investigates the facts ex officio principle (investigation principle) The taxpayer has to co-operate (co-operation maxim) Constitutional law prohibition on excessiveness Right to be heard/fair hearing Principle of the protection of legitimate expectations Principle of good faith
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Referent: Dr. Herbert Becherer Seite 3 2.Unilateral voluntary agreement of the tax authority towards the taxpayer Binding ruling (§ 89 General Fiscal Code) Obtain reliable statements from tax authorities following a tax audit (§§ 204 ff. General Fiscal Code) „Lohnsteueranrufungsauskunft“ – request for information relating to wage tax (§ 42e Income Tax Act) Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 4 3.Actual settlement Binds tax office and taxpayer under the following conditions: No agreement in legal questions In cases of difficult verification of the facts, only Cases of estimate, valuation, future-oriented forecast No result that is clearly incorrect The involvement of an official authorized to take decisions is required Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 5 4.Administrative appeal procedure: Appeal Purpose and legal nature Legal protection of the person who appeals Self-control of the administration Relief of tax courts Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 6 4. Administrative appeal procedure Admissibility criteria for appeal Admissibility to apply to tax authorities Admissibility of the appeal Right to object Deadline Form Demand for legal protection Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 7 4. Administrative appeal procedure Appeal, no devolutive effect = no automatic suspension (§ 367 I General Fiscal Code) Limited suspension of the appeal (§ 361 I General Fiscal Code) Suspension of execution (§ 361 II General Fiscal Code) Suspension and stay of the proceedings (§ 363 General Fiscal Code) Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 8 4. Administrative appeal procedure Decision on the appeal a)The tax office dismisses the appeal as inadmissible b)The tax office dismisses the appeal as being unfounded Requirement for written form and reasoning Change for the worth possible, appeal may be withdrawn before Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 9 4. Administrative appeal procedure Decision on the appeal c)Appeal admissible and justified in its entirety: The tax office provides help by withdrawing, modifying or cancelling – as applied – the contested administrative act. d)Appeal admissible and partly justified: The tax office provides partial remedy by modifying or cancelling partly the contested administrative act. Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 10 5.Legal action The decision on the appeal (cases a, b, d) may be litigated at the fiscal court. Two instances in the tax courts: Tax Court (FG: Court of First instance) Federal Fiscal Court (BFH: Fiscal Supreme Court) Avoidance and settlement of tax disputes
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Referent: Dr. Herbert Becherer Seite 11 Thank you for your attention!
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