Ýran Caddesi No: 15/14 Kavaklýdere / ANKARA TURKEY
Tel : +90 312 426 16 16 Pbx
Fax : +90 312 426 16 17
|
|
-
Financial Counselling Services,
- Continuous notification of law and application amendments and expressing comments and opinions,
- In-service training on accounting applications and fundamentals,
- Establishment of cost accounting systems and forming document formats,
- Forming and Reporting of financial charts periodically,
- Consultancies concerning incentive applications,
- Preparing annual affidavits,
- Consultancies regarding customs duty,
- Applications of Free Zone,
- Applications of Foreign Capital and Exchange Regulation,
- Build Operate Transfer(BOT) and Build Operate Applications,
- All confirmation operations made in lieu of legislation,
- Consultancies regarding tax incompatibilities,
- Consultancies regarding International tax agreements
PROCESS MANAGEMENT IN DISCREPANCIES
Tax Discrepancy
We suggest that negotiations, conciliations or case steps should be carried out under the supervision of experts. We can classify our services as follows:
- Consultancy services given “during” tax investigations,
- Negotiations with investigation staff,
- Preparing datum, documents and printouts
- Review of minutes,
- Consultancy services given “after” tax investigations,
- Analyses of findings,
- Technical evaluation report which will be useful in the process of determining conciliation or sue decision,
- Service given during “conciliation” period.
- Determining conciliation before or after assessment,
- Determining proper firm conciliation limits,
- Services given during “Case” period,
- Determining arguments that are fundamentals of case petitions,
- Preparing petition annexes and numerical works by means of firm datum,
- Literature Review,
- Precedent Review,
- Give accounts together with the firm authorities in the trials,
- Determining arguments fundamental to the petition in appeal step,
- Services given “after” case or conciliation period,
- Control of convenience of the notification that is prepared by tax administration to the decision,
- Control of convenience of the emending operations that is made by tax administration to the decision,
- Control of convenience of the default interest amount calculated by tax administration.
|
|
|