• Analysis of tax status of separate transactions with consideration of corresponding risks and tax burden and assistance to Client in selection of best decision concerning practical implementation of such transactions
  • Active interaction and settlement of disputes with tax authorities, including, but not limited:
    – investigation of dispute and risky issues, analysis of specific situation and documents in respect of which tax dispute arose
    – provision of comments and explanations regarding justification of claims and requirements of tax authorities in view of current tax legislation and common judicial and business practice
    – development of the Client’s legal position in dispute tax issues, additional arguments in favor of position of Client
    – preparation of required procedural and other documents (claims, complaints, responses, objections, explanations, etc.)