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Judgement at the town court in Prague no. 38 Ca 324/99/57
At severance of the property in privatisation arose trade receivables in total 845,329,000 CZK due date 31.12.1994, other than invoicing with direct recording to sales. Client recorded 10 % of the receivables as tax deductibles, authorities did not accept 10 % as tax deductible. Appellant suggest correction of the subsequent tax statement for 32,760,640 CZK, that was denied by the authorities. The town court at Prague denied decision of the authorities . Trade receivables in total 845,329,000 CZK was tax deductible and savings on corporate tax totaling 300,000,000 CZK.
Finding of Constitutional Court 105/95
Authorities assess subsequent tax in total of 513,500 CZK (corporate tax). Appellant suggests correction of the subsequent tax statement, that was denied by authorities and the regional court. The Constitutional court denied decision of authorities and the regional court.
Finding of Constitutional Court 106/95
Authorities assess subsequent tax in total 956,450 CZK (in wages). Appellant suggests correction of the subsequent tax statements, that was denied by authorities and regional courts. The Constitutional court denied the decision of authorities and the regional court.
Finding of Constitutional Court 107/95
Authorities assess subsequent tax in total of 873,400 CZK (on wages and corporate tax). Appellant suggests the correction of the subsequent tax statement, that was denied by authorities and the regional court. The Constitutional court denied decision of authorities and the regional court.