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A partnership of specialised legal advisers working to defend you in matters of tax law, criminal financial law, business law, inheritance planning, organisation and management of assets, inheritance law, etc.

 


The specialist attorneys at the AFSCHRIFT law practice provide advice to private individuals and business alike about making tax savings and generally paying less tax. AFSCHRIFT handles the defence of taxpayers who are in litigation with the tax authorities. We will act in every way like wild mother bears to defend you against the taxman in Brussels (Belgium), Geneva (Switzerland), Madrid (Spain) and now also in Luxembourg.

The firm


BELGIUM
Avenue Louise, 208
1050 BRUSSELS
BELGIUM
T +32 2 646 46 36
F +32 2 644 38 00
Offices open Monday to Friday, 8.00 am to 7.00 pm

SPAIN
Monte Esquinza, 36,2 c - E 28010 MADRID
SPAIN
T +34 91 310 46 31
F +34 91 310 46 31

LUXEMBURG
rue Pierre d'Aspelt 10
B.P. 619
L-2016 Luxemburg
T +352 251 51 51
F +352 45 94 61

SWITZERLAND
Rue du Rhône, 65
CH 1211 GENEVE 3
Switzerland
T: +41 22 737 10 00
F: +41 22 737 10 01


Latest NewsAll news »

The Right to Silence in Tax Cases
25.05.2010
The Court of Appeal of Liege has just handed down a decision favourable to the taxpayer's right to remain silent in a ...
The new tax haven list, published in the Belgian Monitor
19.05.2010
In the outgoing Leterme II government, nobody knew for sure which countries were to appear in the new tax haven list. Some ...
New Tax Planning
17.05.2010
The financial crisis and the high taxation States' reaction turned the tax lawyers' habits up side down. The war against ...
Fictitious purchaser cards and VAT fraud, or the probative force of official reports in VAT matters and the sequences of presumptions.
07.05.2010
In a decision of 29 April 2010, the Court of Appeal of Brussels has set the record straight about presumptions and the ...
The use of foreign companies : Only legal reality counts
27.04.2010
By a decision dating 15 December 2009, the Court of Appeal of Ghent reminded us, quite appropriately, some basic principles ...
The relevant fraud clues must be mentioned in the notification and cannot be subsequent thereof
20.04.2010
Under Article 354 BTC/92, investigations aiming at imposing taxes or tax supplements shall be carried out within three ...
Conditions for deductibility of the expenses paid to companies established in tax havens
26.03.2010
Article 198, 10° of the CIR/92, introduced by the 23 December 2009 framework act imposes that taxpayers liable for corporation ...
Articles 355 and 356 CIR/92 (old): The interpretation of the Supreme Court
16.03.2010
Before the legislative reform, the interpretation of articles 355 and 356 CIR/92 made tongues wag.
In favor of tax competition
01.03.2010
Europe legitimately sees in competition an irreplaceable source of progress and prosperity… Except when it is about ...
A recent decision on the delicate issue of the limitation period for the use of false documents in tax matter
26.02.2010
The Supreme Court holds, in a constant way and since many years, that the use of false documents infringement endures without ...
On Notional Interests
19.02.2010
The following text is published in "la libre Belgique", in the supplement "La libre entreprise" of ...
What can one deduct for MBA type studies?
18.02.2010
The tax advanced ruling authorities handed down a decision (900.140) concerning the deduction of the expenses supported for ...
Cash Companies – an important new decision of the Antwerp Court of Appeal
18.02.2010
More and more cash company cases are arriving at the judgment stage before the courts.
The new VAT regime applicable to lawyers
11.02.2010
Since 1 January 2010, a new VAT regime is applicable to lawyers. Basically, the regime does not change a lot since it concerns ...
Fiscal regularizations: a new source of uncertainty
08.02.2010
In the current undeclared incomes regularization procedure, the taxpayer who omitted to declare certain incomes in the ...
The defrauders listing bought by Germany… the return?
05.02.2010
Last week, the German government declared they wanted to buy, for 2,5 million euros, a list of defrauders dissimulating ...
Tax authorities and tattling
01.02.2010
Tattling is defined as "revelation but always in a bad sense" (Littre). Totalitarian regimes love it, and tax ...
The list of tax havens according to the Belgian Government
28.01.2010
The Belgian government established a list of tax havens, defined as being states with 'non-existent or low taxation”. ...
A new measure against the Belgian companies share’s anonymity
28.01.2010
A law of January 18, 2010, published in the “Moniteur belge” of January 26, bogs down legal provisions against ...
Opposability to the tax authorities of non simulated private agreement : A new decision of the Supreme Court
12.01.2010
As we know, tax evasion differs from licit tax avoidance: although the aim of a taxpayer decreasing the amount of tax that ...
All news »
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