Profit on the disposal of shares of Polish listed companies taxed only in the seller’s country of residence
– Albert Einstein once said that the mind of a mathematician is not enough for taxes – here you need a philosopher. Unfortunately, this world-famous physicist did not take into account the fact that practicing philosophy in this field of law can very easily lead to the omission of an essential principle of constitutional importance…
In their article on Lexplorers, Tomasz Piejak and Wojciech Jaranowski from the advisory team for individual clients comment on the evolution of the position of tax authorities regarding settlement (in Poland) of profits from the sale of shares of Polish listed companies by foreign investors.
Link to the article: http://lexplorers.pl/zysk-ze-zbycia-akcji-polskich-spolek-gieldowych-opodatkowany-tylko-w-panstwie-rezydencji-zbywajacego/
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