• Polski
  • Tax strategy

    As of January 1, 2021, the provisions of the CIT Law added another reporting obligation for the largest taxpayers, namely the obligation to prepare and publish information on the implemented tax strategy.

    This information on the implementation of the tax strategy is subject to publication on the website by the end of the 12th month following the end of the fiscal year.

    Who is it for?
    • The obligation applies to taxpayers with revenues in excess of EUR 50 million and to tax capital groups regardless of the amount of revenue earned.
    Our support scope:
    • Full support in fulfilling the tax strategy obligation.
    • Review of existing processes and procedures.
    • Verification and system of control and monitoring of potentially existing tax risks.
    • Preparation of a tax strategy document describing the approach to performing the tax function.
    • Preparation of a template for information on the implemented tax strategy, which will be subject to publication.
    • Preparation of a detailed report with recommendations for the development of the tax strategy.

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      You would like to discuss your tax problem:

      Book free appointment

      Contact one of our experts on tax management

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      Michał Tokarz

      tel. +48 660 547 069

      Michał Majczyna

      tel. +48 792 055 525

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      Mateusz Pietranek

      tel. + 48 506 399 082

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      Winning the case before the Supreme Administrative Court

      on tax control for 2013 and determination of tax liability. Ref. act II FSK 585/20

      Winning the case before the Supreme Administrative Court

      regarding the Company's CIT exemption. Ref. act II FSK 1250/22

      Winning case before the Voivodeship Administrative Court

      on alleged abuse of VAT law. Ref. no. III Sa/Wa 203/22

      Judgment of the Supreme Administrative Court, ref. no. I FSK 1816/20

      The court objected to the very common approach among the tax authorities, but also often among the courts, of attributing an implicit awareness of participation in a fraud by pointing out that the evidence on the record did not show that such awareness existed. The court ordered that very precise criteria be taken into account that would make such awareness of fraud plausible.

      Judgment of the Voivodeship Administrative Court in Warsaw (III SA/Wa 2555/20)

      Judgment on abuse of rights. The court questioned the authorities' instrumental attempts to apply the concept of abuse of rights, pointing out that the conditions for abuse were not met in the evidence on the record.

      Winning case before the CJEU. C-395/09

      The right to deduct input tax when purchasing services from countries considered to be tax havens, Oasis East Ltd.

      Winning case before the CJEU. C-395/09

      The incompatibility with Community law of Polish provisions concerning the restriction of the right of entrepreneurs to deduct VAT on the purchase of passenger cars and fuel for them, Magoora Sp. z o.o.

      Winning case before the CJEU. C-313/05

      Excise duty levied on imported second-hand cars in connection with their first registration in Poland, Maciej Brzezinski

      Most conducted and won cases when representing taxpayers before the CJEU among all Polish attorneys.

      Jerzy Martini - author and co-author of Commentary on the VAT Directive (Unimex ed.)

      Jerzy Martini - author, co-author and editor of Commentary to the VAT Act (publ. C.H.Beck)

      Jerzy Martini - author and co-author of "VAT in the jurisprudence of the European Court of Justice" (publ. C.H.Beck)

      Marek Wojda - co-author of Commentary on the VAT Directive (Unimex ed.) and the VAT Act (C.H.Beck ed.)

      Featured in the 'Law firm on Linkedin - a practical guide' by legal marketing agency Tomczak Stanisławski.

      Repeatedly recognised in the rankings of Rzeczpospolita and Dziennik Gazeta Prawna.

      We teach at universities, including the School of Economics

      Jerzy Martini honoured annually in the prestigious Chambers & Partners ranking, indicated as Band I (highest possible level) in the individual ranking of tax advisers in the Tax Consultants category.

      Authors and commentators of tax publications in the trade press.