Further to the information presented in the previous issue of our Newsletter, we would advise you that the currently prepared amendment to the Czech VAT Act, which is to come into effect from 1 January 2019, has included the wording of the Council Directive (EU) No 2016/1065 (the “Directive”), which regulates the treatment of vouchers […]
Slovakia is implementing tax relief measures
Last week the Slovak government has taken measures to mitigate the effects of the coronavirus crises in the financial area. These measures have been approved by Slovak parliament on April 2nd, 2020, and come into force as of April 4th, 2020. The changes concern various tax regulations and are adopted due to the situation in […]
Anti-Crisis Shield – Summary of Implemented Solutions
On 1 April 2020 a package of bills and decrees, so-called “Anti-Crisis Shield”, entered into force. Below we present the most important solutions: SUPPORT CONCERNING EMPLOYERS, EMPLOYEES AND SOCIAL SECURITY CONTRIBUTIONS (ZUS) 1.Exemption from social security contributions (upon request) Exemption for small companies (up to 9 people registered for social security) from social security contributions […]
The reporting obligations postponement
In the last days, the Polish government published few regulations postponing various reporting obligations, aiming to relieve adverse COVID-19 effects: CIT-8 The deadline for submitting CIT-8 for most CIT taxpayers was postponed until 31 May 2020 (for-profit/loss generated in the tax year that ended in the period from 1 December 2019 to 31 January 2020). The due date […]
Fixed Establishment in Poland – new judgment of the Supreme Administrative Court
On February 26, 2020, the Supreme Administrative Court (SAC) issued a significant judgment, ref. I FSK 1313/17 to Voss Fluid GmbH seated in Germany regarding the Fixed Establishment (FE) existence of the German company which has commissioned the production on entrusted materials to Polish contractors. Background The German company operates in the mechanical engineering sector […]
How is Poland going to “treat” coronavirus among companies?
On 10 March 2020, the Minister of Development Jadwiga Emilewicz announced the introduction of a package of legislative changes aimed at protecting the Polish economy from the effects of the coronavirus epidemic. The changes, which are mainly targeted at (i) introducing public-law liabilities reliefs, (ii) improving companies’ cash flow and (iii) protecting and supporting the […]
MDR regime in Poland – let’s report it again
The obligation to re-report cross-border tax arrangements. The first re-reporting falls at the end of May 2020. The new regulation, which is to enter into force on 1 April 2020, introduces an obligation to re-report cross-border tax arrangements that have already been reported. This absurd situation is a consequence of the rash implementation of MDR […]
Important changes to VAT from 1 April 2020
Liquidation of VAT return forms and introduction of new JPK_VAT (SAF-T) Starting from the VAT settlement for April 2020, large companies will be obliged to replace the traditional VAT-7 return form with a new JPK_VAT (SAF-T; so-called “VDEK”). For other taxpayers, this obligation will apply from the VAT settlement for July 2020. The new regulations […]
The surplus of the input tax over the output tax can be carried over only for 5 years!
Please be informed that at the beginning of this year, the Polish Supreme Administrative Court has upheld the unfavorable for the taxpayer tax authorities’ decision, that in accordance with the Polish VAT Act regulations the 5 year of the limitation period also applies to the surplus of the input tax over the output tax. It means […]
Tax authorities apply General Anti-Avoidance Rules
Recent information published by the Ministry of Finance shows how the tax authorities are making use of the General Anti-Avoidance Regulations (GAAR) and provide details of opinions recently issued by the Council for Prevention of Tax Avoidance, which is in Polish Rada do spraw przeciwdziałania unikaniu opodatkowania (“Council”). We note that the Council has been […]