Each violation requires separate penalty to be imposed and separate tax notification-decision to be issued. Is different approach illegal?
Difficulties or opportunities: an exemption from fines and penalties in case of payment of calculated tax liability amount within 30 calendar days after receipt of the tax notification-decision under subpara. 69.37 para. 69 of Sub-section 10 Section XX “Transitional Provisions” of the Tax Code of Ukraine
20-OPP: the issue is not resolved
20-OPP: to submit or not to submit and what we shall expect afterwards, that is the question