Ukrainian tax authorities tend to accompany every audit of an operating legal entity with the “establishment” of violations (existing or fabricated). Heads of Ukrainian tax authorities change frequently and are often taken to the pre-trial detention centers. Tax authorities change their names, but the methods of work remain unchanged.
The taxpayer has a lawful right to challenge the additional tax payments both in the administrative procedure and in court. While it is still almost impossible to find justice in the administrative procedure, the courts often decide on the favor of taxpayers.
We recommend our clients to stand their ground. As the case may require, the legal support may include appeals in administrative and judicial procedures. We do everything possible to cancel the fabricated tax implications. During more than 10 years of our practice in tax disputes support, we have saved our clients hundreds of millions of hryvnias in court disputes.