
A tax collection waiver is a unique privilege functioning pursuant to Article 22 of the Tax Ordinance Act. Apart from this, the said provision regulates equally specific tax reliefs deriving from the preference in question. The author presents the most critical issues related to applying Article 22 of the Tax Ordinance Act. She shows the evolution of legal regulations in the outlined scope, and she analyses the principles and premises for their application. These analyses resulted in the formulation of de lege lata and de lege ferenda conclusions included in the last part of the paper.