As a result of the changes to the tax legislation in Romania, taxpayers in Romania will be exempted from paying the differences in main fiscal obligations and ancillary fiscal obligations that were established by the tax authorities in Romania by means of a tax decision until the end of 2020,

as a result of the reclassification from the category of income from other sources to the category of income from wages and assimilated to wages, as well as income from gift vouchers obtained by natural persons from persons other than employers. The Romanian Law Firm Pavel, Mărgărit and Associates recommend contacting a lawyer specialized in tax law in Romania to provide legal services regarding the provisions of Romanian Tax legislation and possible changes of the Romanian Fiscal Code.

Also, the differences of main fiscal obligations and ancillary fiscal obligations extinguished by payment, compensation, forced execution or payment will be refunded to taxpayers in Romania, at their request, so that a lawyer specialized in tax law in Romania can guide you in order to understand and interpret correctly the tax legislation in Romania, in order to benefit from the cancellation of the fiscal obligations, respectively to the restitution of the fiscal obligations.

The cancellation of the fiscal obligations is carried out both ex officio by the competent fiscal authorities in Romania by issuing a decision to cancel the fiscal obligations and at the request of the taxpayer in Romania,  who can contact a lawyer specialized in tax law in Romania in order to be compliant with the legal procedure approved by the order of the president of National Agency for Fiscal Administration and to observe the deadline of 30 days since the date of entry into force of the law.

Considering the complexity of the tax legislation in RomaniaThe Romanian Law Firm Pavel, Mărgărit and Associates recommends contacting a lawyer specialized in tax law in Romania in order to benefit from specialized legal consultancy and to be up to date with any amendments to the Romanian Fiscal Code, thus ensuring the protection of client’s interests and to comply with the mandatory provisions applicable in the tax field.


 

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