Polish residents cooperating with foreign contractors often receive an offer to participate in an incentive program, which provides for the free acquisition of stock options, and then transforming them into shares. The question arises whether the mere acquisition of an option generates taxable income in Poland? In the opinion of our Law Firm, this event, provided that certain conditions are met, does not allow for the recognition that it will be necessary to recognize tax revenue.
Tax documentation for tax capital groups (PGK) still raises many doubts among taxpayers and is the subject of inquiries addressed to the Ministry of Finance. In recent days, the Ministry's website has published explanations regarding the thresholds for the preparation of transfer pricing tax documentation by these entities.
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Once again it turns out that the provisions on the so-called Housing relief are not as easy as you might think. A few days ago, we managed to obtain a favorable individual interpretation (the Director of KIS withdrew from the legal justification of the position presented in the application) for a client who sold a self-built house and then purchased a flat for the common property. As it turned out, the issues that should not raise any doubts were not so obvious to the employees of the tax office where the taxpayer is accountable.