Tax advisor: Should the impossibility of automatically suspending the tax debt be limited to the part derived from the penalty?

According to the provisions of Article 42.1 a) of the General Tax Law (LGT) in relation to its sanctioning nature and respecting the doctrine of the Constitutional Court, there is no other way than to qualify a conduct to persons who cause or have had an active collaboration in the execution of a sanction related… Continue reading Tax advisor: Should the impossibility of automatically suspending the tax debt be limited to the part derived from the penalty?