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DC Field | Value | Language |
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dc.contributor.author | Attard, Robert | - |
dc.date.accessioned | 2024-05-09T05:25:36Z | - |
dc.date.available | 2024-05-09T05:25:36Z | - |
dc.date.issued | 2011 | - |
dc.identifier.citation | Attard, R. (2011). The classification of tax disputes, human rights implications. In G. Kofler, M. Poiares Maduro, & P. Pistone (Eds.), Human rights and taxation in Europe and the world (pp. 397-410). Amsterdam: IBFD. | en_GB |
dc.identifier.isbn | 9789087221119 | - |
dc.identifier.uri | https://www.um.edu.mt/library/oar/handle/123456789/122003 | - |
dc.description.abstract | The case of Giorgio Ferrazzini was a case over a tax assessment which took fourteen years to conclude. In essence, Giorgio Ferrazzini argued that the length of the proceedings relating to the determination of the issue had exceeded a “reasonable time” contrary to Article 6 § 1 of the Convention. The ECtHR declared the complaint admissible but held, eleven votes to six, that Article 6 § 1 of the Convention does not apply to tax disputes because tax disputes are not civil rights and obligations to which Article 6 applies. The decision of the ECtHR in Ferrazzini implies that in a tax dispute a litigant does not have a right to a fair hearing under Article 6 of the Convention (‘the Ferrazzini dictum’). [excerpt] | en_GB |
dc.language.iso | en | en_GB |
dc.publisher | IBFD Publications | en_GB |
dc.rights | info:eu-repo/semantics/restrictedAccess | en_GB |
dc.subject | Tax protests and appeals -- Europe | en_GB |
dc.subject | Taxation -- Law and legislation -- Europe -- Cases | en_GB |
dc.subject | Tax administration and procedure -- Europe | en_GB |
dc.subject | European Court of Human Rights | en_GB |
dc.subject | Taxpayer compliance -- Europe | en_GB |
dc.title | The classification of tax disputes, human rights implications | en_GB |
dc.title.alternative | Human rights and taxation in Europe and the world | en_GB |
dc.type | bookPart | en_GB |
dc.rights.holder | The copyright of this work belongs to the author(s)/publisher. The rights of this work are as defined by the appropriate Copyright Legislation or as modified by any successive legislation. Users may access this work and can make use of the information contained in accordance with the Copyright Legislation provided that the author must be properly acknowledged. Further distribution or reproduction in any format is prohibited without the prior permission of the copyright holder. | en_GB |
dc.description.reviewed | peer-reviewed | en_GB |
Appears in Collections: | Scholarly Works - FacEMAAcc |
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The classification of tax disputes human rights implications 2011.pdf Restricted Access | 252.07 kB | Adobe PDF | View/Open Request a copy |
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