Resolution of tax disputes of real or legal entities,
Evaluation of tax risks arising from commercial transactions,
Following up the legal process regarding the cancellation of ex officio accruals and irregular fines imposed by tax offices, customs administrations and revenue administrations,
Following legal remedies in cases in Tax Courts, Regional Administrative Courts and the Council of State,
Evaluating alternative situations such as merger and acquisition, full or partial division, change of type, asset transfer by evaluating the tax risk and/or consequences of commercial transactions in line with the legal and financial structures of the companies,
Determination of technical bankruptcy and/or indebtedness situations of real or legal persons within the scope of the Turkish Commercial Code No. 6102, determination of tax legal procedures to be applied in eliminating risky financial situations,
Resolving and concluding tax disputes on issues such as accrued taxes, tax loss, unfounded payment orders and irregularity penalties,
Initiating and monitoring tax restructuring processes,
Evaluating the report written during the review processes, and seeking all legal remedies against the resulting report before the Report Evaluation Commission,
Restructuring the tax activities of companies,
Seeking ways to object to possible additional accruals and fines during customs inspections of companies’ import-export transactions and evaluating all legal remedies in this context,
Assessment of tax risks of companies before mergers, acquisitions and divisions, tax restructuring and tax planning,
Incorrect or incomplete income declarations on matters such as income tax, income tax withholding, corporate tax, value added tax, real estate tax, special transaction tax, resource use support fund, motor vehicle tax, stamp tax, ex officio, supplementary or administrative assessment procedures, incorrect It provides consultancy and litigation services to its clients on all kinds of tax disputes such as discounts, pricing of transfer transactions between related or affiliated companies, dumping taxes, implicit capital assessments arising from debt to shareholders or indirect shareholder investment, declaration of taxpayer income.