Why with
Costa | Álvarez | Manglano & Associates?
Our Firm has built their reputation as Tax Specialists over the last 16 years. We work with companies both in Spain and internationally.
Our Head Office is in Valencia with branches in Castellón and Barcelona.
Important facts you should be aware of:
Some of our clients have been advised by their lawyers that “you will never win a case against the Spanish Administration”.
- As Tax specialists, in 2007, Costa, Alvarez, Manglano & Associates won 88 % of the cases brought against the Spanish Tax Administration. This class action is no different.
The Capital Gains Tax Reclaim is an EU rather than a Spanish legal matter. Very few lawyers have the knowledge and experience to defend a case of this size and complexity in front of both the Spanish Tax Authorities and the European Court of Justice.
- After a year analyzing and developing this case, Costa, Alvarez, Manglano & Associates are confident in undertaking this class action.
- With hundreds of our clients now in progressive stages of this reclaim, we have developed our knowledge to a finite degree.
Some of our clients expressed fears about possible consequences resulting from presenting this reclaim.
- Remember: It is your right by Spanish Law to reclaim any overcharged tax and this right is officially regulated.
- Of the many Capital Gains Tax reclaims presented since early 2007, none have experienced any undue consequences.
Reasons to file your claim now:
If you wait to present your reclaim, consider the risks involved:
- According to the European Court of Justice and Spanish Law, you must present your reclaim within 4 years of the Capital Gains Tax payment date.
- It is impossible to predict when a final Court decision will be made, so it is highly possible that your case will expire before this decision. As soon as your reclaim is filed, any possibility of expiration becomes void.