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WTS in Poland

Europe

Choose Office
WTS&SAJA Sp.z.o.o.
Poznań
WTS&SAJA
Warszawa
Poznań
WTS&SAJA Sp.z.o.o.
ul. Roosevelta 22
60-829 Poznań
http://www.wtssaja.pl
+48 61 64345 50
magdalena.saja@wtssaja.pl
Warszawa
WTS&SAJA
Al. Jerozolimskie 81 Orco Tower Building, 22nd floor
02-001 Warszawa
http://www.wtssaja.pl
+48 61 64345 50
magdalena.saja@wtssaja.pl
Home Locations Poland

Our local partner firm in Poland is WTS&SAJA.

WTS&SAJA is a tax consultancy and has been in the tax services industry since 2004, when it started as Doradztwo Podatkowe DGA&SAJA Sp. z o.o.

The tax advisory team of WTS&SAJA is made up of former partners and managers from Big Four firms. We have combined our professional attitude and experience in Poland with the reputation of foreign tax advisors.

The philosophy behind our consulting services is to create practical and comprehensive tax solutions designed to meet the business objectives of our clients. Our clients can count on the highest calibre service and a satisfaction of working with a partner that has not failed and will not fail!

 

View news by WTS&SAJA here.

Main Contact
Magdalena Saja
Managing Director (Business Development) of WTS Global
Poland
http://www.wtssaja.pl
+48 61 64345 50
View Profile

Local News

News on tax developments affecting the international Financial Services industry.

WTS Global Financial Services Newsletter #2/2025 is now available
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CJEU's February 2025 ruling may reshape Polish WHT exemption rules for foreign investment funds—key implications for internally managed structures.

Poland: Important CJEU's decision on Luxembourg's internally managed investment funds
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This article delves into the evolving Polish WHT regulations on passive income, examining recent rulings on exemptions for dividends, interest, and royalties, impacting international industry groups.

Poland: Directive-based WHT exemptions for dividends, interest and royalties
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News on tax developments affecting the international Financial Services industry.

WTS Global Financial Services Newsletter #1/2025 is now available
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The Polish government is currently working on amendments to the Polish Tax Code (Ordynacja podatkowa) in response to a recent ruling by the Court of Justice of the European Union (CJEU).

Poland: Ammendments to the Polish tax code regarding interest on overpayments resulting from CJEU's judgment
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Advocate General Juliane Kokott's recent opinion in Case C-18/23, delivered on 11 July 2024, has sparked concern due to her support for Poland's differential tax treatment of resident externally managed and non-resident internally managed (self-managed) investment funds.

Poland: Opinion of Advocate General Kokkot in case C-18/23, 11 July 2024 - Polish CIT exemption for self-managed foreign investment funds
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On 28 March 2024, the Director of the Polish National Revenue Information Centre issued a private tax ruling (ref. 0111-KDIB3-1.4012.938.2023.3.IK) addressing the VAT implications of a specific transaction involving bonds issued by a fund.

Poland: VAT exemption for bonds contributed by investment fund as capital into a company in exchange for shares
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As remote work becomes more prevalent, companies need to be aware of the tax issues associated with their employees’ presence in foreign jurisdictions.

Poland: Post-pandemic approach to ‘home office’ – PE or not?
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On 19 December 2023, the Supreme Administrative Court handed down its judgment in case number II FSK 2108/20 concerning interest on overpaid WHT for foreign investment funds.

Poland: Foreign funds - Top tax court decision regarding interest on overpaid WHT
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For many years now, Poland has been introducing solutions aimed at the digitization of VAT.

Electronic invoices in Poland
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The issue of mandatory beneficial owner testing in the application of WHT exemptions on dividend payments has been a bone of contention generating disputes with Polish tax authorities since 2019.

Poland: Beneficial owner in recent case law of Supreme Administrative Court
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With the Polish implementation of the "SUP Directive" entering into force, businesses will now face new compliance duties aimed at reducing the environmental impact of certain plastic products.

Poland: The Polish implementation of the "SUP Directive" enters into force
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It is our pleasure to present to you the second edition of our WTS Global Mergers & Acquisitions Newsletter 2023. Presenting updates from 9 countries with a focus on the international M&A industry.

WTS Global Mergers & Acquisitions Newsletter #2/2023 now available
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As of 2022, Polish CIT regulations contain a new definition for beneficial owner. The Voivodship Administrative Court in Lublin examined complaints against the refusals to issue preference opinions, presenting its own assessment of genuine business activity criteria.

Poland: Another twist in the interpretation of “beneficial ownership”
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The status of remote work in the Labour Code has been changed to a permanent option, rather than one applicable just in relation to the COVID-19 pandemic.

Poland: New rules on remote work and business trips
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Recent months have seen Polish tax regulations regarding restructurings significantly amended and further changes are also expected.

Latest amendments to the Polish restructuring law
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The fundamental purpose to introduce PHC regulations was to increase the attractiveness of Poland as a location for setting up holding companies.

Polish holding companies as of 2023
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The interest of the Polish Tax Authorities in benchmarking studies increases. Benchmarking studies are being carefully audited and regularly challenged during the tax controls, resulting in tax assessments and further tax proceedings before the administrative courts.

Poland: Administrative Courts condemn Tax Authorities’ unlawful Practices regarding the Questioning of Benchmarking Studies
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Poland undertakes a reassessment of the preconditions for a fixed establishment.

Poland: Recent developments regarding fixed establishment in Poland
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As of 1 February 2016, Poland has had a banking tax. The tax is charged on the amount by which the taxpayer's total assets exceed the applicable statutory threshold.

Poland: Changes to banking tax
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The scope of changes is broad and some of them, if they finally enter into force, may have a cross-border impact.

Polish Deal 2.0 – further changes in Corporate Income Tax
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In the judgment dated 22 March 2022 (II FSK 1688/19), the Polish Supreme Administrative Court presents its standpoint on the taxation of exchange of a cryptocurrency for another cryptocurrency.

Poland: Supreme Administrative Court decisions on cryptocurrencies and interest on overpayment
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As of 1 January 2022, pay and refund has replaced previously effective relief at source mechanism as a way of withholding tax (WHT) collection for certain types of payments made from Polish entities.

Poland: Pay and refund – new WHT collection mechanism for passive payments
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Since 1 January 2021, new TP regulations have been in force regarding the documentation of what are called indirect transactions with residents of tax havens (Newsletter #2/2021)

Polish regulations on “indirect” transactions with tax havens
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As of 1 January 2019, Polish law requires Polish WHT agents to exercise due diligence and verify the applicability of any tax rates other than the standard rate (preferential WHT rates) or of any exemption or forbearance of tax, which may apply under special regulations or a double tax treaty.

Poland: Supreme Administrative Court on beneficial ownership & Indirect transactions with tax havens
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A new type of transaction evidence has been introduced to the Polish VAT regulations, i.e. structured invoices (colloquially called e-invoices).

Poland: Voluntary e-invoice as of 1 January 2022
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On 15 November 2021, the President signed the legislative package introducing a sweeping reform of the Polish tax system, called Polish Deal (Polski Ład). The changes will come into force as of 1 January 2022.

Polish Deal – selected WHT issues (incl. CIVs)
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Year 2021 was full of tax changes, most of which are going to take effect at the start of 2022. For business, then, next year will be one of implementing the changes and adjusting to the new reality.

Overview of CJEU'S Polish cases of importance in 2021
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SLIM VAT 2 is another set of changes that are supposed to simplify the VAT settlements in Poland. The first one was implemented as of 1 January 2021.

Further changes in the Polish VAT Act
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On 26 July 2021, the government published a broad legislative proposal to make important amendments in various tax laws, including income tax and VAT regulations.

Polish Deal (Polski Ład) as proposal for a wideswept tax reform – key points for financial markets
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The Polish Deal legislative package currently processed in the Sejm includes a proposal to introduce what is called minimum income tax (CIT Act, Article 24ca). 

Poland: Minimum income tax
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On 31 August 2021 the Director of National Revenue Information (“Authority”) issued the private tax ruling, ref. 0111-KDIB1-2.4010.231.2021.2.MS, relating to the recognition on form TPR of domestic controlled transactions that are exempt under Article 11n(1) of the CIT Act.

Poland: Recognition of domestic controlled transactions on form TPR
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On 1 September 2021 the Finance Ministry (FM) issued the guidance document in relation to VAT e-commerce package in force as of 1 July 2021.

Poland: FM’s guidance on VAT e-commerce legislation
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On 8 September 2021 the Finance Ministry presented proposed changes to draft legislation introducing the "Polish Deal". The changes, made on the back of public consultations regarding the initial proposal (see our Newsletter 39/2021), will mainly affect the mentioned issues.

 

Changes To Draft Law Introducing "Polish Deal"
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Poland plans to allow VAT groups.

Poland: VAT Group Treatment
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The finance Ministry's representatives have published an article with first statistics based on transfer pricing reporting (form TPR) for 2019.

Poland: Transfer Pricing Statistics For 2019
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The public consultations have commenced on draft Transfer Pricing Forum Recommendations on the transfer pricing implications of the COVID-19 pandemic for Polish taxpayers ("Recommendations").

Poland: Transfer Pricing Forum's Draft Recommendations In Relation To COVID-19
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The Finance Ministry ("FM") has published Guidance of 10 August 2021 on the equalization relief under Article 27g of the Personal Income Tax Act (Journal of Laws of 2021, item 1128, as amended; the "Guidance").

Poland: FM Guidance On Equalization Relief
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This is to let you know of plans to make an important amendment to the CIT Act which introduces a new test for having the place of management in Poland. This amendment, which is part of the Polish Deal package of proposed legislation, seeks to add a new provision to the CIT Act, specifically sub-paragraph 6 to be added to Article 3.

 

Poland: New Definition Of Place Of Management
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For years there has been a split between administrative courts and tax authorities about the deductibility timing for what are called indirect tax costs for the purposes of corporate income tax.

Poland: Tax authorities change approach to indirect costs under CIT act
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The “Polish Deal” (Polski Ład) was published on 26 July 2021 (hereinafter the “Bill”).  The key change as regards VAT is the possibility to form the so-called VAT Groups for tax purposes as of 1 January 2022.

VAT Groups Within The “Polish Deal” Programme
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The publication of legislation proposed to amend tax regulations to introduce the "Polish Deal". Most the changes are proposed to enter into force on 1 January 2022. For now we offer a synthetic list of the major changes.

Poland: Draft law implementing the “Polish Deal”
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A new revision of forms TPR-P and TPR-C has been published by the Finance Ministry in the Public Information Bulletin. The new forms are used to file transfer pricing information for tax years starting after 31 December 2019.

Poland: New TPR Forms Have Been Published
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