The article presents the assessment of changes in transfer pricing regulations among associated companies. The new regulations will be introduced in Poland from 2019. The assessment is based on comparison and verification analyses with respect to alignment of changes with OECD recommendations for transfer prices. Alignment with international standards is a condition for avoidance of economic double taxation in case of transfer pricing adjustment. The assessment concerns the crucial changes involving adjusted approach to arm’s length principle. Adjusted arm’s length approach introduces a couple of changes among which the most important is to impose new obligations to improve setting transfer prices on daily basis as well as authorisation for...
This article is focused on the issue of tax effects of waivers. There is no unequivocal and comprehe...
Owing to the distinctive features distinguishing it from traditional database solutions, blockchain ...
In the Polish reality, changes in the law are common, and in the case of tax law, this phenomenon i...
The article presents the assessment of changes in transfer pricing regulations among associated comp...
This article discusses the possibility of using the formula apportionment mechanism as a tool to rep...
Changeability is an immanent feature of tax systems. Over the last years, it has been even more noti...
The choice of funding the company’s capital is important from the point of view of tax planning beca...
This paper examines the effects of double taxation treaties on FDI inflows into both developing and ...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
The new regulations that have been introduced since 2017 extend significantly the scope of the TP do...
Taxation of assignment of receivables with corporate income tax does not have the legislation applie...
The article discusses practical experiences with the application of the DEMPE concept over the years...
This article provides for the analysis of the real property taxation legal regulation from the viewp...
Large enterprises differ qualitatively from other categories of taxpayers, and the effective enforce...
The basis of taxation (return, income, property, expenditures), serves at present as a criterion of...
This article is focused on the issue of tax effects of waivers. There is no unequivocal and comprehe...
Owing to the distinctive features distinguishing it from traditional database solutions, blockchain ...
In the Polish reality, changes in the law are common, and in the case of tax law, this phenomenon i...
The article presents the assessment of changes in transfer pricing regulations among associated comp...
This article discusses the possibility of using the formula apportionment mechanism as a tool to rep...
Changeability is an immanent feature of tax systems. Over the last years, it has been even more noti...
The choice of funding the company’s capital is important from the point of view of tax planning beca...
This paper examines the effects of double taxation treaties on FDI inflows into both developing and ...
This article deals with the problems of taxation of controlled foreign companies (hereinafter: CFC) ...
The new regulations that have been introduced since 2017 extend significantly the scope of the TP do...
Taxation of assignment of receivables with corporate income tax does not have the legislation applie...
The article discusses practical experiences with the application of the DEMPE concept over the years...
This article provides for the analysis of the real property taxation legal regulation from the viewp...
Large enterprises differ qualitatively from other categories of taxpayers, and the effective enforce...
The basis of taxation (return, income, property, expenditures), serves at present as a criterion of...
This article is focused on the issue of tax effects of waivers. There is no unequivocal and comprehe...
Owing to the distinctive features distinguishing it from traditional database solutions, blockchain ...
In the Polish reality, changes in the law are common, and in the case of tax law, this phenomenon i...