El responsable tributario y su naturaleza sancionadora: STS de 28 de abril de 2023, rec. núm. 546/2021
DOI:
https://doi.org/10.48297/rtt.v3i142.2395Keywords:
Jointly and severally liable, concealment of assets, avoid administrative action for the collection of tax debts, fraud and fault, lifting of assetsAbstract
The possible sanctioning component of the conduct that, as jointly and severally responsible, is included in art. 42.2, a) LGT, and the possible basis on the ne bis in idem principle of opposition to a second procedure for the derivation of liability, instructed after the annulment of a previous one with the same legal basis.
