Tax Lawyer
Tax Law
Against a tax or penalty assessment notice, you can either file a case before the tax court within 30 days of notification or pursue a settlement (uzlaşma) with the tax administration. Choosing the right route determines whether the penalty is eliminated entirely or merely reduced.
Tax law requires both technical accounting knowledge and command of procedural law in disputes between taxpayers and the administration. The 30-day filing period before the tax court and the settlement application deadlines are preclusive.
Our office stands by taxpayers across the full range of tax matters: managing the tax audit process, pre- and post-assessment settlement, actions for the annulment of tax and penalty assessment notices, objections to payment orders and electronic attachment (e-haciz), and defense against tax offense charges based on alleged false invoices.
Services We Provide in This Area
- Actions for the annulment of tax and penalty assessment notices
- Pre- and post-assessment settlement proceedings
- Advisory during tax audits
- Objections to payment orders and electronic attachment (e-haciz)
- Defense against false document charges (Tax Procedure Law, Article 359)
- Applications for the correction of tax errors
- Debt restructuring and set-off/refund procedures
Frequently Asked Questions
Tax Law: Frequently Asked Questions
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