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About a year after its entry into force, the legislation linked to the Waste Tax (TARI) continues to represent a controversial issue in some respects, in particular for all those economic subjects who, as producers of special waste or companies that dealing with disposal and management, feel the need for a clearer interpretation of the discipline, which also allows simplified access to the possible reductions and exemptions related to the payment of the tax, but whose requirements are little known or not always applied in a uniform way on the national territory.