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Instytut Cen Transferowych
28.04.2020
Loss from a source of revenue and exemption from the obligation to prepare transfer pricing documentation
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27.04.2020
OECD Analysis of Tax Treaties and the Impact of the COVID-19 Crisis
The Organisation for Economic Cooperation and Development (OECD) presented on 3 April 2020 a Analysis of Tax Treaties and the...
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20.04.2020
Situation of not being able to obtain a certificate of residence from a foreign contractor during COVID – 19 in the light of correct calculating withholding tax (wht).
One of the documents which entitle to apply a reduced tax rate, exemption or non-collection of tax in accordance with...
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16.04.2020
Reference rate (Monetary Policy Council resolution of 8 April 2020) and maximum interest rate on loans between related parties, in accordance with the arm’s length principle.
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15.04.2020
Exemption from withholding tax for the payment of dividends and royalties in the event of acquisition/merger of companies.
Company A based in the territory of the Netherlands, which is a 100% shareholder of company B based in Poland,...
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09.04.2020
The taxpayer is obliged to have a statement from the beneficial owner of the taxpayer in each case when it pays interest in the amount exceeding PLN 2,000,000 and, in addition, it should meet additional requirements specified in the provisions of the Corporate Income Tax Act.
On 25 February 2020. The Regional Administrative Court in Łódź, in its judgment under no. I SA/Łd 685/19, dismissed the...
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08.04.2020
MDR instructions and internal procedure. Ways to reduce risk in meeting MDR obligations
As of 1 January 2019, as a result of the entry into force of the Act of 23 October 2018...
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07.04.2020
Sale/acquisition by the Bank of investment certificates of the Funds for the purpose of their redemption, when the transaction price results from the Articles of Association is subject to transfer pricing regulations – DKIS interpretation
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03.04.2020
Redemption of shares is subject to the obligation to prepare transfer pricing documentation
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27.03.2020
The University and the Hospital for which the University is the founding entity are related entities under the transfer pricing regulations – interpretation by the Director of KIS
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