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Fundamental Rights in Tax Disputes is a book that offers a practical and case-based approach with particular reference to the central role of Article 6 of the European Convention on Human Rights and Article 47 of the Charter of Fundamental Rights of the European Union by explaining how these rights have evolved through case law and how they apply in practice. Recent case law, evolving legal standards, and growing awareness have highlighted that tax enforcement (like any exercise of State power) must be subject to the guarantees that protect parties when dealing with public authority.
What’s in this book:
With a primary focus on procedural safeguards, access to justice, and judicial impartiality, the author explores such key aspects as:
The book includes numerous excerpts from judgments and provides a concise comparative analysis of relevant developments in Italy, Germany, and France.
How this will help you:
As governments strengthen their tools for tax enforcement, the question is no longer whether efficiency can justify intrusive measures, but how far such measures may go without undermining fundamental rights. Addressing the underlying tension and fragility in reconciling these often competing objectives, this comprehensive study examines the application of fundamental rights in the context of tax litigation. It identifies the key legal issues and explores how they interact within the broader European legal landscape. Judges, lawyers, tax practitioners, and tax authorities will benefit from the book’s broad analysis of case law and gain practical tools to promote procedural safeguards, judicial independence, access to justice, and proportionality in resolving tax disputes.