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Projects

2024
Appealing the tax notices decisions on payment of PIT in an administrative order
2023
Appeal against the decision of the Tax Invoice Suspension Commission to refuse registration of tax invoices for the total amount of UAH 6.3 million
2023
Appealing in court order the tax notices decision of VAT payment in the amount of UAH 1.2 million
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Tax law

Advising clients on all aspects of tax law is a significant focus of Misechko & Partners law firm’s activity. Our tax lawyers are qualified experts in this area of law, have many years' experience of providing advice and are offering the most rational and favorable legal decisions.

Tax lawyer provides the firm's clients, including legal entities and individuals, national and international companies with professional legal advice on a wide range of tax disputes, matters, represent clients before government agencies, including tax and customs authorities, as well as successfully defend their interests in courts of different instances.

Tax practice of firm was approved by authoritative international ranking World Tax 2015, published by International Tax Review guide, and included in the third group of legal experts.​

Managing Partner Vladimir Misechko, according to handbook Ukrainian Law Firms 2014 (ULF), joined the ranks of 19 the best lawyers in the practice area of tax law. 

Our services:

Tax consulting: 

  • advising on taxation issues, including the assessment of tax risks of the planned transactions and/or activity of enterprises;
  • advising on tax legislation with a view to its further use in business activities;
  • providing clients with legal consultations on validity of requirements of tax and customs authorities;
  • representing the interests of taxpayers in relations with tax authorities, including tax audits and other forms of fiscal control.

Appeal tax decision:

  • appealing the decisions of tax authorities to the higher tax authorities, including the preparation of all required documents (objections to a tax audit, explanations, complaints against the decision of tax authority, applications for cancellation of interim measures, applications for replacement of interim measures to suspend penalties, and other documents);
  • judicial and tax appeals against acts and/or decisions of tax authorities, preparing all necessary documents for taxpayer to plead a case in courts;
  • maintain tax disputes in the courts of all instances.