If you have received a payment folder or a communication from the collection agent you can request a consultation from one of our experts, will assess the existence of the formal requirements required by law in order to possibly challenge the content of the notified act.
Once the assessment of the attached documentation has been carried out, one of our lawyers can advise, in the presence of possible defects of the act, the opportunity to appeal to the competent authorities (Tax Commissions, Regional Administrative Courts, Ordinary Judicial Authority) or a self-defense application or, again, prepare a request for access to documents on behalf of the user.
According to recent regulations, the tax payer, for amounts less than € 20,000, before appealing to the competent court, will have to activate, if he intends to contest the content of a payment file or an administrative arrest, a mediation attempt within 60 days from notification of the act, at the outcome of which the collection agent can accept the proposed mediation, reject the complaint or annul the contested act.
In the event that the amount requested by the collection agent can not be challenged, the taxpayer can request an ordinary payment of the debt up to 72 installments or overtime, up to 120 installments, the latter benefit granted in the presence of proven economic difficulties. of the candidate.