About

Provided by Stocche Forbes Advogados

Stocche Forbes has a strong practice in tax controversies, assisting our clients not only in the challenging of tax charges imposed at the Federal, State or Municipal levels, but also in the definition of strategies, both at the administrative and judicial spheres, for the recovery, in the most efficient manner, of taxes unduly paid.

Our attorneys closely follow up the development of the litigation cases we handle for our clients, what allow us to timely and proactively interact with the various courts, avoiding that a given case is ruled before all the facts and arguments have properly been submitted and thoroughly explained to the judges. As a consequence, our clients are always up to date on the current status of the tax disputes and aware of the next steps to be taken therein.

Our tax litigation team continuously monitors the decisions rendered in leading tax cases by the Higher Courts and by the other judicial and administrative judging bodies, what assures that our advices and litigation strategies always take into consideration the applicable case law whenever our clients need our assistance.



Chambers Review

Provided by Chambers
Tax Litigation: Highly Regarded - Brazil
2
Band 2
What the Team is Known For

Stocche Forbes Advogados' tax department is recognised for its ability to handle federal, state and municipal tax litigation before judicial and administrative courts. Players from a range of industries, including food and beverages, banking and automotive, benefit from the firm's corporate and M&A strength to obtain representation in related contentious mandates relating to goodwill tax amortisation, transfer pricing and fiscal disputes arising from corporate reorganisations.

Work Highlights

Provided by Stocche Forbes Advogados
  • Stocche Forbes Advogados assisted ABAG in submitting amicus curiae briefs in pending cases before the Superior Court of Justice (“STJ”) regarding tax benefits given to taxpayers by the States (such as taxable basis reductions) and whether they should be included in the Corporate Income Tax taxable basis.

Strengths

Provided by Chambers