
Tax Litigation
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We represent you in all forms of tax litigation, from the earliest stages of appeal proceedings to complex cases before national fiscal courts, the Federal Fiscal Court, the Constitutional Court, and the European Court of Justice. Our approach combines rigorous legal analysis with strategic foresight to ensure your case is prepared and argued at the highest level.
Successful litigation begins long before a court hearing. We place strong emphasis on preparing your case already at the appeal stage, developing a clear narrative and aligning on the right strategy from the outset. This early preparation allows us to structure arguments effectively, safeguard procedural rights, and create a consistent foundation that can withstand scrutiny at higher levels of jurisdiction.
In practice, this means working closely with you to gather and assess evidence, identify key legal issues, and frame arguments in a way that will resonate not only with the tax administration but also with the courts. Whether the matter concerns transfer pricing, controlled foreign company rules, double taxation issues, or the application of new and excessive tax laws, we ensure that your position is presented comprehensively and convincingly.
Our litigation work is characterized by precision, persistence, and a deep understanding of both the technical tax issues and the procedural nuances of the courts. By combining technical excellence with courtroom experience, we are able to defend your rights effectively and guide you through proceedings with clarity and confidence.