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tax dispute resolution

Affected by the expected slowdown in global and Chinese economic growth, as well as the increasing pressure from the government on public finance expenditures, tax authorities are continuously increasing their efforts in tax inspections and anti tax avoidance investigations. Meanwhile, with the continuous improvement of the tax legal system and the increasing awareness of taxpayers' rights, it can be foreseen that more and more tax dispute cases will appear in the future. The new tax laws and management environment require taxpayers to change the way they handled tax disputes in the past, and seek the support of external tax professionals to resolve tax disputes as much as possible within the framework of laws and regulations.

We firmly believe that the solution to disputes lies in professional communication. Our intervention is not to lead the two sides towards confrontation, but rather to achieve more effective communication through our own professional knowledge.

The tax dispute resolution team of Answer Law Firm will provide the following services for taxpayers' tax dispute matters:

*Coordination of tax enterprise relations* Tax inspection response* Tax hearing assistance* Tax administrative reconsideration* Tax administrative litigation* Criminal defense related to taxation.

案例展示

Provide special tax services for a real estate company in Beijing regarding disputes related to land value-added tax, corporate income tax, and local retention rewards, with a total amount of nearly 100 million yuan involved. After the intervention of An Shihua, multiple channels of communication and coordination were conducted with the district government and leaders through administrative reconsideration

Provided special services for an international trading company in Xinjiang regarding export tax refund disputes, and ultimately successfully assisted the enterprise in achieving the exemption of over 30 million yuan of deemed domestic value-added tax;

Initiate administrative reconsideration for a related party transaction involving tax adjustments in a Sino Japanese joint venture in Beijing, assist the enterprise in communicating with tax authorities, provide evidence and explanatory documents on the reasonableness of related party transaction pricing, and ultimately determine that the enterprise's related party transaction pricing is reasonable and will no longer be subject to tax adjustments

Providing services for the cancellation of a European investment enterprise in Wuxi, Jiangsu. Due to the fact that the enterprise was deemed by the tax authorities to have related transactions with unreasonable pricing during the cancellation, the enterprise was requested to pay taxes. Answer assisted the enterprise in communicating with the tax authorities and ultimately successfully cancelled without paying taxes.

A film and television company in Tianjin had a transaction with a related party of Khorgos. The competent tax authority of the film and television company in Tianjin believed that it was transferring profits to Holgos, and the related party transaction was unreasonable. After the intervention of An Shihua, on behalf of the company, repeatedly communicated with the competent tax authority, and

Served as the defender of a criminal case involving consumption tax evasion in a state-owned petrochemical enterprise in Northeast China, involving billions of dollars. Successfully assisted the company and management (general manager, chief accountant, chief business representative) in revoking criminal charges during the investigation phase;

Served as the second instance defender in a criminal case involving a construction enterprise in Jiangxi Province suspected of falsely issuing ordinary invoices, involving hundreds of millions of yuan. The legal representative was ultimately granted a suspended sentence. Currently assisting the parties in filing an appeal;