SIGNUM represented two international E&P companies in their claims against tax authorities.
Outcome of the court case is that notification of the tax authorities prescribing transition from stabilized tax regime to payment of taxes according to the current tax law was cancelled.
Our lawyers acted for the clients from the court of first instance to the appealing and cassation instance.
Our tax and litigation lawyers have acquired unique experience on PSAs’ stability matters and mitigated risk of considerable tax assessment.