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1. The Defendant’s KRW 739,428,140 as well as 5% per annum from August 31, 2016 to October 31, 2016 to the Plaintiff.
Reasons
1. Regarding the facts of recognition, the tax amount notified for the payment deadline of the tax amount in arrears (including won and additional dues) (including value-added tax) on December 31, 2014; 159,157,050,750 73,547,430 earned income (A) on December 31, 2014; 1,584,760 1,584,760 1,993,490 earned income (A) on February 51, 2015; 520 53,53,060 corporate tax on May 31, 2015; 31, 2074,470 24,470 23,470,820,820,820-added tax on December 30, 2015; 303,501, 2015;
A. As of August 2016, the Plaintiff has a taxation claim of KRW 739,428,140 in total as indicated below as of August 1, 2016 with respect to the comprehensive construction of Cacks Co., Ltd. (hereinafter “Cacks comprehensive construction”).
B. On the other hand, a comprehensive Skis Construction has a sales claim of KRW 5,096,685,000 in total against the Defendant as of December 31, 2015.
C. On July 3, 2015 and May 17, 2016, pursuant to Article 41(1) of the National Tax Collection Act, the Plaintiff seized KRW 148,510,200, and KRW 753,213,80, out of the sales claims against the Defendant of Dusts Construction. The notice of the seizure of claims was served on the Defendant around that time.
On July 21, 2015, January 26, 2016, and June 3, 2016, the Plaintiff sent to the Defendant a written request for collection requesting the Defendant to pay the amount of money up to the amount of delinquent local taxes due to the amount of delinquent local taxes due to the obligation to be seized. Each written request for collection was served to the Defendant around that time.
[Ground of recognition] The fact that there is no dispute, entry of Gap's 1 through 4 (including tentative number), the purport of whole pleading
2. According to the above facts of determination as to the cause of the claim, the Defendant is an execution creditor who subrogated to the comprehensive construction of the Cshacks comprehensive pursuant to Article 41(2) of the National Tax Collection Act, with an annual amount of 739,428,140 won among the claims subject to seizure, as well as an annual amount of 5% from August 31, 2016 to October 31, 2016, which is obviously recorded that the Plaintiff is a delivery date of a copy of the complaint, and from the following day to the date of full payment.