Practice Area · 01

Tax Defense. When the Tax Agency calls, you need more than an advisor.

We are specialists in tax proceedings. We represent and defend our clients' interests before the Tax Agency and other tax authorities at every stage of the process.

Itinerary

The complete procedure, step by step.

Notice and start of proceedings

Receipt and review of the notice. Risk assessment and strategy definition from day one.

01

Audit and verification proceedings

We support the taxpayer throughout the audit visits, managing documentation and avoiding unnecessary disclosure of harmful information.

02

Objections and proposed assessment

Filing well-founded objections to the proposed tax assessment, backed by sound technical judgment and supporting documentation.

03

Liability claims

We defend directors, partners and third parties against joint and subsidiary liability claims.

04

Economic-administrative appeals

Filing claims before the Regional and Central Economic-Administrative Courts (TEAR and TEAC). Objections filed on time, documentary evidence and rigorous argumentation.

05

Judicial review appeals

When the administrative route is exhausted, we take the case to the High Courts of Justice and the National Court.

06

Seizures and enforcement proceedings

Suspension of seizures, requests for payment deferrals and installment plans. Urgent action when bank accounts or wages are affected.

07
Frequently Asked Questions

What you should know.

It's important to analyze the scope of the audit and the documents requested before responding. The first actions taken shape how the whole procedure unfolds. Getting the strategy right from this point lets you organize the information properly and avoid mistakes that can be hard to fix later on.
Yes, in certain cases the tax authorities can hold directors or third parties liable for a company's debt. It's essential to review the file and the legal requirements to assess whether the liability claim is valid and, if so, how to challenge it.
Yes. There are several available routes, such as an administrative appeal for reconsideration or an economic-administrative claim. The right choice depends on the specific case and the defense strategy.
Deadlines vary depending on the type of action, but they tend to be short and strict. In many cases you have 10 or 15 days to file objections and one month to appeal.
A seizure is part of the collection procedure once a debt enters the enforcement stage. It can affect bank accounts, wages or other assets, within the limits set by law.
In certain cases it's possible to suspend or lift a seizure — for example, by challenging the debt, requesting a payment deferral, or providing sufficient guarantees.

Need help with tax defense?

We respond within 24 hours. For urgent cases, call us directly.