The criminal liability of the tax adviser in the criminal offences of tax evasion of the art. 305 Spanish Criminal Code. Applying the clause of acting instead of another

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Natalia Torres Cadavid

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Abstract

This paper exposes the criminal treatment that deserves the tax adviser who designs fraudulent plans and carries out executive acts that materially suppose the commission of the crime of tax fraud under the art. 305 CP, this according to the Spanish doctrine. Also, a personal solution is proposed. In my opinion the art. 305 CP requires a special qualification in the author, which the tax adviser, by definition, does not possess. Therefore, the tax advisor can only respond as an author because the application of the art. 31 CP.

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