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POLISH TAX SYSTEM BUSINESS OPPORTUNITIES AND CHALLENGES
NYKIEL W. WILK M. RED. wydawnictwo: WOLTERS KLUWER , rok wydania 2017, wydanie Icena netto: 313.89 Twoja cena 298,20 zł + 5% vat - dodaj do koszyka Polish Tax System Business Opportunities and Challenges
This book is a unique tax law publication on fundamental elements of Polish tax
system. It concentrates on key issues of contemporary tax law in Poland in particular on
the assessment of legal institutions which either stand out comparing to other legal
systems or require changes and reforms.
The authors, giving the general image of Polish tax law, also indicate the regulations
which are or potentially may be the source of tax risk for foreign business as well as on
provisions which may mitigate that risk.
The book is addressed to multinational companies, tax managers, tax practitioners,
judges, academics and tax administration.
"The authors of The Polish Tax System. Business Opportunities and
Challenges undertook the task of presenting an overview of the current regulations
governing the taxation in Poland. As a result the book provides a comprehensive outline of
personal and corporate income taxes, VAT, the local taxes as well as the international
aspects of taxation associated with double tax treaties signed by Poland. The Polish tax
regulations are presented in the context of some interesting recent economic indicators
and EU law currently in force. This is a 'must-have' compendium for academics and students
as well as investors and their advisors who either contemplate entering Poland or deepen
their business presence in the country."
Abbreviations
Prof. Dr Włodzimierz Nykiel, Dr Michał Wilk
Introduction
Dr Anna Nykiel-Mateo
Poland - Law and Economy
1. Introductory remarks
2. Recent history: from the World War II to joining the EU
3. Polish economy today: growth and challenges
4. Polish legal system
5. Closing remarks
Prof. Dr Włodzimierz Nykiel
Polish Tax System - Basic Characteristics
1. Tax law before 1989
2. Main stages of transformation
3. Fundamental changes of Polish tax law
4. Taxes and the financial crisis
5. New solutions and BEPS
Dr Michał Wilk
Polish Tax Law in the Context of EU Law
1. Introductory remarks
2. EU tax law in the hierarchy of sources of law in the Polish constitutional order
3. Role of the ECJ in the process of harmonization of Polish tax law
4. EU tax law in the practice of Polish tax authorities and administrative courts
Dr hab. Ziemowit Kukulski, Dr Małgorzata Sęk, Dr Michał Wilk
General Tax Act
1. Arising of tax liability (Ziemowit Kukulski)
2. Rulings and other forms of guidance (Małgorzata Sęk)
2.1. General remarks
2.2. Advance tax rulings and tax explanations
2.3. Protective opinions
2.4. Advance pricing agreements
2.5. Other forms of guidance
2.6. Resolutions of extended panels of the Supreme Administrative Court
3. Expiry of tax liabilities in Poland (Ziemowit Kukulski)
3.1. General remarks
3.2. Payment of a tax
3.3. Remission of tax arrears
3.4. Limitation period of tax liabilities in Poland
4. Overpayment (Małgorzata Sęk)
5. Third-party liability (joint and several liability) (Małgorzata Sęk)
6. Tax succession (Michał Wilk)
7. General rules of tax proceedings as procedural guarantees of taxpayers‘ rights
(Ziemowit Kukulski)
8. Power of attorney (Michał Wilk)
9. Time limits (Małgorzata Sęk)
10. Evidence and evidentiary procedure (Ziemowit Kukulski)
11. Appeal procedures (Małgorzata Sęk)
12. Verification of a final decision settled (Ziemowit Kukulski)
13. Tax audits (Michał Wilk)
Dr Małgorzata Sęk
Tax on Goods and Services (VAT)
1. Introduction
2. Competent tax authorities
3. Taxable transactions
4. Supply of goods
5. Supply of services
6. Intra-Community supply and intra-Community acquisition of goods
7. Export and import of goods
8. Supplies for consideration and taxation of supplies made free of charge
9. Excluded transactions
10. Selected exempted transactions
11. Abuse of law
12. Taxable persons
13. Persons liable for payment of tax to tax authorities
14. Tax representative
15. Withholding agent
16. Small enterprise exemption
17. Place of taxable transactions
17.1. Place of supply of goods
17.2. Place of intra-Community acquisition
17.3. Place of importation
17.4. Place of distance selling
17.5. Place of supply of services
18. Time of taxation
19. Taxable amount
20. Bad debt relief
21. Rates
22. Deduction of input VAT
23. Payment and refund of VAT. Tax returns and recapitulative statements
24. Cross-border refund of VAT
25. Joint and several liability for payment of VAT
25.1. Acquirers of "sensitive goods"
25.2. Proxies filing VAT registration forms of "active" taxpayers
26. Registration
27. Documentation
28. VAT registry
Dr Małgorzata Sęk
Excise Duties
1. General remarks
2. Taxable goods and activities
3. Taxable persons
4. Tax moment
5. Taxable base and rates
6. Taxable period and payment of tax
Prof. Dr Adam Mariański
Income Taxes
1. Personal income tax
1.1. Subjective scope of taxation
1.2. Objective scope of taxation
1.3. Income from sources of revenue
1.4. Tax deductible expenses
1.5. Tax base
1.6. Tax rates
1.7. Collection and administration of taxes
1.8. Flat-rate income tax and lump-sum amount on registered revenue
1.9. Fixed-amount tax ("tax card")
1.10. Social security
2. Corporate income tax
2.1. Objective scope of the application of the CITA
2.2. Subjective scope of application of the CITA
2.3. The concept of revenue under the provisions of the CITA
2.3.1. Taxable revenues
2.3.2. The moment of commencement of tax obligation
2.3.3. Determination of the revenue upon the arm‘s length principle
2.4. Determination of income
2.5. Income tax exemptions implementing EU Directives
2.6. Controlled foreign companies rules
2.7. Determination of the tax base and application of the appropriate tax rate
Dr hab. Ziemowit Kukulski, Dr Małgorzata Sęk, Dr Michał Wilk
Other Taxes
1. Immovable property tax (Małgorzata Sęk)
2. Tax on civil law transactions (capital duty) (Michał Wilk)
2.1. General remarks
2.2. The scope of taxation
2.3. Tax base, tax rates, tax obligation and collection of the tax
2.4. Exemptions
3. Other business-related taxes (Ziemowit Kukulski, Małgorzata Sęk)
3.1. General remarks
3.2. Inheritance and gift tax
3.3. Agricultural tax
3.4. Forestry tax
Dr hab. Ziemowit Kukulski
Double Tax Treaties in the Polish Treaty Practice
1. Types of DTAs in the Polish treaty practice
2. Periods in the Polish tax treaty practice
3. Impact of the OECD Model Convention and the UN Model Convention on the Polish tax
treaty practice
4. The concept of PE in DTAs concluded by Poland
5. Taxation of income from business activity in juridical and economic sense in DTAs
concluded by Poland
6. Taxation of passive investment income in DTAs concluded by Poland
7. Taxation of capital gains and income from immovable property in DTAs concluded by
Poland
8. Taxation of income from employment and other income of individuals in DTAs concluded by
Poland
9. Polish tax treaty practice with respect to taxation of directors‘ fees
10. Other income and capital in DTAs concluded by Poland
11. Methods for the elimination of double taxation in the Polish tax treaty practice
12. Bilateral cooperation in tax matters - prevention against tax evasion - provisions of
Articles 25, 26, 27 of the OECD and UN Models in DTAs concluded by Poland
13. Special provisions not based on the OECD or the UN Model Conventions
264 pages, Hardcover
Po otrzymaniu zamówienia poinformujemy, czy wybrany tytuł polskojęzyczny lub
anglojęzyczny jest aktualnie na półce księgarni.
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