Tax authority in Kyiv, on the basis of the conducted inspection, canceled the registration of the payer of the single tax of the FOP in the 3rd group in accordance with clause 299.10 of Art. 299 of the Tax Code of Ukraine. The basis for the cancellation was the existing tax debt according to the PPP. 8 pp. 298.2.3 Paragraph 298.2 of Art. 298 of the Tax Code of Ukraine.

The FOP was not notified of the cancellation and continued to operate. As a result, by the end of 2023, the amount of taxes for several years of business activity, which are now already subject to the general tax system, could amount to several millions, plus fines.

The lawyers of Zilver Law Firm have appealed the decision of the tax office both administratively and in court. The court has not yet made a decision, but the Ukrainian tax authority, after investigating the case, revoked the decision to cancel the single taxpayer status itself.

The single taxpayer status has been restored, no negative consequences will follow!

 

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