Tag:
Corte di Cassazione, Dismissal, Licenziamento
16 Jun 2025
Accounting irregularities justify dismissal for just cause, even if involving small amounts (Norme & Tributi Diritto of Il Sole 24 Ore, 13 June 2025 – Alessandra Zilla and Alesia Hima)
In its judgment No. 19985 of 7 May 2025, the Italian Supreme Court (i.e. “Corte di Cassazione”) upheld the legitimacy of a dismissal for just cause issued to an employee who, in performing his duties as a cashier, had committed repeated accounting irregularities. These mainly involved the failure to register sales transactions and the omission of issuing fiscal receipts.
According to the Court, such conduct – although involving relatively small amounts and in the absence of clear evidence of misappropriation – was nonetheless sufficient to irreparably undermine the relationship of trust between the employer and the employee.
Judicial Reasoning at first instance and on appeal
The case originated from an internal investigation initiated by the company through a private investigation firm, which uncovered repeated anomalies in the employee’s handling of cash transactions. These findings led to the initiation of disciplinary proceedings and the subsequent dismissal for just cause.
The dismissal was challenged in court by the employee.
The Court of first istance, by way of an interim order issued at the end of the summary phase under Article 1, paragraphs 51 et seq. of Law No. 92/2012, and a subsequent confirmatory judgment issued at the opposition stage, upheld the employee’s claim. It annulled the employer’s dismissal and ordered the payment of compensation.
According to the first-instance judge, the employer had failed to provide sufficient evidence to support the allegations made against the employee. In particular, the accounting records submitted by the company were deemed unreliable; the identified cash discrepancies were considered to be within normal operational margins and not disciplinarily relevant. Furthermore, the absence of a precise correlation between unrecorded transactions and cash surpluses did not, in the court’s view, support an inference of misappropriation. The Court also noted that the shared use of the same cash register by multiple employees, all operating under a single identification code, made it impossible to conclusively attribute the irregularities to the dismissed worker.
The Court of Appeal overturned the lower court’s decision, upheld the employer’s appeal, and fully rejected the employee’s challenge.
In contrast with the first-instance rulings, the Court of Appeal found that the allegations had been sufficiently substantiated through a set of consistent circumstantial elements, including statements from the investigative personnel, evidence of cash shortages, and a thorough evaluation of witness and documentary evidence.
As a result, the appellate judges deemed the dismissal lawful, holding that the employee’s conduct – given the nature of his role and despite the relatively small sums involved – constituted a serious and repeated breach of the duties of honesty and loyalty, thus justifying the immediate termination of the employment relationship.
The decision of the Italian Supreme Court
The employee filed an appeal before the Italian Supreme Court, raising five grounds of challenge, including the alleged failure by the Court of Appeal to examine key facts of the case – specifically, the claim that the employee had appropriated the proceeds from sales.
The Supreme Court dismissed the appeal in its entirety, fully upholding the lower Court’s decision. According to the Court, dismissal for just cause can be justified without proving misappropriation in the strict legal sense. It is sufficient that the employee’s conduct – by its objective and subjective seriousness – is capable of irreparably damaging the bond of trust with the employer.
In the case at hand, the repeated failure to record sales and to issue receipts, without any plausible justification, amounted to willful misconduct. Even in the absence of a significant financial loss, such behavior undermines the employee’s future reliability in the performance of his duties.
The Court further reiterated that the principle of proportionality must be assessed not only in relation to the actual economic damage, but also with regard to the nature and frequency of the violations, as well as the employee’s role within the company. The modest amount of money involved is therefore irrelevant; what prevails is the need to safeguard the integrity of the fiduciary relationship – particularly where the conduct is repeated over time and clearly attributable to the employee.
In conclusion, the Supreme Court held that the failure to record cash transactions and issue fiscal receipts – even for small amounts – may constitute just cause for dismissal when such conduct reflects a willful, repeated, and disloyal attitude that irreparably undermines the employer’s trust. Specific proof of misappropriation is not required; it is sufficient that the behavior gives rise to serious doubts about the employee’s future trustworthiness.
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