If the deadline of lodging of appeal does not include the statutory suspension of the contested individual tax assessment and if suspension has not been granted by the competent tax authority, tax collection may, following an application by the person who lodged the appeal, be suspended, by a brief reasoned court decision. The application for suspension is accepted only if the applicant pleads and proves that the immediate implementation of the disputed act will cause him irreparable damage and if the court considers that the appeal is not manifestly unfounded. This research discusses the current suspension procedures provided by the French, the German, the UK and the Spanish legal systems, by critically comparing the requirements (i.e. periculum in mora and fumus boni iuris) they involve, pending the relevant litigation. The analysis reveals the common grounds of the different legislations and puts forward some suggestions for reforms on a judicial level that may further advance the development of the Italian procedure.

La tutela cautelare del contribuente nel processo tributario: uno studio comparato

piantavigna
2015-01-01

Abstract

If the deadline of lodging of appeal does not include the statutory suspension of the contested individual tax assessment and if suspension has not been granted by the competent tax authority, tax collection may, following an application by the person who lodged the appeal, be suspended, by a brief reasoned court decision. The application for suspension is accepted only if the applicant pleads and proves that the immediate implementation of the disputed act will cause him irreparable damage and if the court considers that the appeal is not manifestly unfounded. This research discusses the current suspension procedures provided by the French, the German, the UK and the Spanish legal systems, by critically comparing the requirements (i.e. periculum in mora and fumus boni iuris) they involve, pending the relevant litigation. The analysis reveals the common grounds of the different legislations and puts forward some suggestions for reforms on a judicial level that may further advance the development of the Italian procedure.
2015
Law covers resources from both general and specialized areas of national and international law, including comparative law, criminology, business law, banking, corporate and tax law, constitutional law, civil rights, copyright and intellectual property law, environmental law, family law, medicine and the law as well as psychology and the law.
no
Esperti anonimi
Italiano
Nazionale
STAMPA
74
2
267
296
30
Comparative Tax Law, Tax litigation procedure, Tax assessment enforcement, Judicial suspension
1
info:eu-repo/semantics/article
262
Piantavigna, Paolo
1 Contributo su Rivista::1.1 Articolo in rivista
none
File in questo prodotto:
Non ci sono file associati a questo prodotto.

I documenti in IRIS sono protetti da copyright e tutti i diritti sono riservati, salvo diversa indicazione.

Utilizza questo identificativo per citare o creare un link a questo documento: https://hdl.handle.net/11571/1314977
Citazioni
  • ???jsp.display-item.citation.pmc??? ND
  • Scopus ND
  • ???jsp.display-item.citation.isi??? ND
social impact