Volume 30, Issue 54 (2022)                   J Tax Res 2022, 30(54): 93-115 | Back to browse issues page


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Abbasi M, Eshghpour M. The Nature of Time Lapse and the Analysis of Several Questions about the Interruption of the Prescriptive Period. J Tax Res 2022; 30 (54) :93-115
URL: http://taxjournal.ir/article-1-2158-en.html
1- , mra1390@yahoo.com
Abstract:   (764 Views)
The Tax Law includes an institution called "time lapse", in our legal system, there is another institution called "statutory deadline". Despite to the "statutory deadline", dispute settlement entities are not allowed to investigate  time lapse  without a request by the relevant taxpayer, and the restitution of paid taxes would not be possible through invoking this matter. Here, the question that arises is whether the above-mentioned institution has been called "time lapse" by negligence and whether this is in fact a statutory deadline? Although under Article (270) of the Tax Law, the demand for taxes after the expiration of the prescriptive period is considered as a breach of the law, and the supervision forces are allowed to deal with this case. However, this research, which is based on the descriptive-analytical method, reveals that this matter is due to the administrative nature of tax laws and it seems that tax dispute settlement boards are not allowed to investigate this issue without a request by the relevant taxpayer. Thus, the term "time lapse" is selected accurately. It seems that the submission of the bill of tax after the expiration of the statutory deadline would not interrupt the prescriptive period and the restitution of received taxes would not be possible. In addition, the issuance and notification of a tax to another source will cause the interruption of the prescriptive period.
 
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Type of Study: Research | Subject: Management
Received: 2022/10/29 | Accepted: 2022/09/1 | Published: 2022/09/1

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