Tax Audits in Tunisia – Premium Expertise

Led by a Tunisian Chartered Accountant (National Diploma of Accounting Expertise – OECT, Master in Tax Law and Administrative Litigation, International Tax and Transfer Pricing Certificates – IBFD), Luca Pacioli supports Tunisian companies in all types of tax audits: preliminary, in-depth, or spot checks. We combine technical mastery, hands-on experience, and deep knowledge of Tunisian tax law to secure your obligations, negotiate conciliation or tax amnesty, and minimize penalties. Every engagement is handled with professional rigor, full confidentiality, and a strategic approach tailored to your business.
Specialized Solutions
Preliminary tax review
In-depth tax audit
Spot check audits
Right to information & compliance
Tax conciliation & amnesty
Withholding tax & optimization
Assistance in case of penalties
Strategic advice for disputes and negotiation
Transfer pricing litigation & Policy dispute
APA Agreement
Why Us?
Led by a Tunisian Chartered Accountant with international certifications (IBFD)
Deep knowledge of Tunisian tax control procedures and litigation
Methodology customized for each client
Expertise in negotiation and conciliation
Full confidentiality and secure handling of sensitive information
Get informed :
Our Process
Initial Assessment: comprehensive internal audit & risk identification
Strategic Preparation: dossier assembly, compliance review, background check
Audit Support: direct interface with tax authorities, document presentation
Conciliation & Negotiation: minimize penalties, secure rights
Final Report & Recommendations: action plan & future optimization
Post-Audit Follow-Up: ensure implementation of corrective measures
Core Priorities
95% of files handled without major penalties
Average reduction of penalties 30–50% depending on case
Average intervention time <5 days
Customer satisfaction > 95%
Cash-flow optimization through proper withholding and regularization
Frequently Asked Questions
What is exactly a tax audit?
A tax audit is performed by the tax administration to ensure that a company's accounting and tax returns are accurate and truthful. It enables the tax administration to verify the accuracy of information sent during tax returns and can be used to target both individuals and businesses (companies, self-employed workers, traders, craftsmen, and associations).
Is it possible to assist with both personal and business taxes?
We are able to provide taxation services for both individuals and businesses. We have the knowledge and experience to handle a wide range of tax issues.
How do you ensure that tax returns are correct?
We have rigorous quality control procedures in place. Our professionals always double check all tax fillings to guarantee compliance with tax laws and regulations.
What are your tax service fees?
Our fees vary depending on the complexity of your tax requirements and the services you are seeking. We provide accurate costs and will provide you with a specific quote depending on your specific requirements.
Can you assist me in resolving a tax dispute?
We do provide tax dispute settlement services. Our professionals will collaborate with you to reach agreements and represent your interests throughout the dispute resolution process.
The tax authorities are conducting a review of my personal financial situation. Will the inspector be present at my home?
Except in extremely rare and marginal circumstances of search, no inspector may enter your home. This protocol specifies that this type of examination take place exclusively in administrative facilities.
Why am I the subject of a tax audit?
The tax services conduct checks, which are part of Tunisia's reporting system. An audit can only be conducted when the taxpayer has voluntarily revealed his income.
In which case would I be controlled by the tax department?
This is called a statute of limitations, which generally prohibits the tax administration from going back in time beyond three years (at least for income or corporate taxes).
In this case, the administration can only control the three previous years, 2022, 2021 and 2020, in 2023. Therefore, the year 2020 will be prescribed on December 31, 2023.
The limitation period may be extended by 10 years in the case of hidden activity, accounts held abroad and not declared.
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