TAXATION
Our Tax team comprising lawyers and chartered accountants, many of whom have multiple qualifications, offers a comprehensive array of tax advisory and litigation services for businesses and organisations in various sectors. The Tax team comprising lawyers and chartered accountants, many of whom have multiple qualifications, offers a comprehensive array of tax advisory and litigation services for businesses and organisations in various sectors.
Income Tax Litigation: This type of tax litigation involves disputes related to the assessment of income tax liabilities, including challenges to the taxability of income, deductions, exemptions, and credits. These disputes can arise between taxpayers and the tax authorities over issues such as the interpretation of tax laws, accounting practices, and the valuation of assets.
GST Litigation: This type of tax litigation involves disputes related to the collection and payment of sales tax. GST is a tax on the sale of goods and services, and disputes can arise over issues such as the classification of goods or services, the taxability of transactions, and the calculation of tax liabilities.
Property Tax Litigation: This type of tax litigation involves disputes related to the assessment of property tax liabilities, including challenges to the valuation of property, exemptions, and assessments. These disputes can arise between taxpayers and the tax authorities over issues such as the classification of property, the fair market value of property, and the calculation of tax liabilities.
Excise Tax Litigation: This type of tax litigation involves disputes related to the assessment of excise tax liabilities, including challenges to the taxability of goods or services subject to excise tax. Excise taxes are taxes on specific goods or services, such as fuel, tobacco, or alcohol, and disputes can arise over issues such as the classification of goods or services subject to excise tax and the calculation of tax liabilities.
International Tax Litigation: This type of tax litigation involves disputes related to cross-border transactions and the taxation of income earned in foreign countries. These disputes can arise over issues such as the interpretation of tax treaties, transfer pricing, and the taxation of foreign-source income.