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These measures, which are essentially aimed at broadening the tax base and strengthening the existing normative framework, include:
In addition, in the event of hierarchical or jurisdictional referrals, the rate of advance payments to be made has been revised. From now, no payment is required in the event of a referral to the Head of the Tax Administration or the Minister of Finance.
In case of a referral to the arbitration committee of tax appeals, the advance payment rate is set at 15% of the disputed amounts. In case of referral to the judge, the advance payment rate is set at 25% of the disputed amounts.
The advanced amount paid is fully refunded when the litigation procedure results in a decision in favour of the taxpayer.