Our recent dispute resolution experience includes representing a large uranium mining company on claims of its foreign employees arising from the imposition of administrative penalties in relation to the late presentation of tax reports.
Our lawyers managed to prove that foreign employees of the Client did present the tax forms in time and did not receive the rulings on imposition of administrative penalties at the time stated by legislation, and therefore did not miss the ten-day time limit for appealing the rulings.
The court supported us, considered our arguments to be reasonable, and satisfied the claims of foreign employees on restoration of the missed period, revocation of rulings on imposition of administrative penalties and cessation of administrative proceedings.