TAX AND CORPORATE DISPUTES
Being involved in a dispute, even if the taxpayer is clearly right, he does not see the prospect of successfully defending his interests either in the state revenue authorities or in court, since he has to confront not a specific specialist of the tax authority, but an already built system of state – power relations.
Our company has developed and successfully applied in practice effective methods for resolving tax and corporate conflicts. Combining them with the necessary competence and experience, we are ready to offer our Clients not imaginary, but real opportunities to defend their legitimate interests.
As part of this practice, our lawyers will prepare a conclusion containing a strategy for protecting the Client's interests, a detailed analysis of the legislation on the disputed situation, possible legal risks for the Client, as well as recommendations of a preventive and preparatory nature; They will take effective measures to pre-trial settlement of the dispute in favor of the Client. They will protect the interests of the Client using effective legal instruments in court.
Within the framework of working with joint-stock companies and limited liability partnerships, the firm is engaged in: appealing against decisions on the issue and placement of securities; return of illegally alienated shares / shares; appeal of illegal decisions and actions of governing bodies, executive bodies; protection of rights in case of illegal increase of the authorized capital; contest: major transactions and transactions related to the withdrawal of assets; contesting the shift: board of directors, board, director, members; restoration of violated rights: (1) on the advantageous right to purchase stocks/shares, (2) on participation in meetings of management bodies, (3) on familiarization with documents, (4) on the receiving of dividends.