By Vangelis Dourakis

‘Leaf and feather’ The tax office makes the pending income tax cases, retroactive, unpaid traffic charges, VAT, property taxes that are limited at the end of the year. What the Audit Authorities seek is to notify timely – that is, before the end of 2025 – the imposition of a fine and definitive correction of the tax, prior to the expiration of the year on the debtors.

It is noteworthy that these days, AADE calls on thousands of citizens to pass the … fund to pay for traffic charges, which appear on the audit screens not to be paid.

Mass Shipment of Notices for ‘Forgotten’ Traffic Fees

However, in the relevant electronic notifications, AADE gives the vehicle holders the opportunity to challenge the debt and submit ‘Audit Application’.

According to the message, the debtor in the event that he applies that he does not have such an obligation, should at the latest by the end of this month – and specifically until 31/10/10 – declare it to the MyCar application through the digital gate of Myaade (myaade.gov.gr).

After entering the application with his personal codes he should make the option of “vehicle registration fees> debt debt of previous years” and submit a “debt inspection”.

However, it will need to provide supporting documents that prove that either the traffic fees have been paid or were not obliged to pay them.

If there are no required supporting documents, then debt is simply … paid.

The cases that are at risk of limitation relate to the year 2020, as the five -year limitation period is in force.

In some cases, however, even uses of 2015 may even be related, as the limitation period is ten years in cases where new information has emerged in which the audit mechanism had not accessed earlier.

When does the public exercise his rights in limitation cases

In order to be able to exercise the right to impose tax on cases approaching a limitation period, the State must provide for a 20 -day period of time provided by the taxpayer law in order to submit any disagreement with the findings of the auditors and the amounts to be paid.

The tax authority subsequently within 10 days will have to consider the new data and notify the definitive tax identification of the taxpayer. These procedures must be completed before 31.12.2025 and hence the alert by the AADE mechanisms.

The limitation period relates to the time in which the tax-audit authority has the right to charge taxes and fines and not to carry out a tax audit.

The limitation period is not interrupted unless a tax identification act has been notified to the taxpayer before the expiry of the limitation period, even if the act has been issued.

Also, the State may under conditions under the end of the five -year period, while in special cases, such as foreign income or transactions, the limitation period may exceed this threshold and reach the decade.