Post by account_disabled on Dec 2, 2023 7:00:49 GMT
Is based in the territory of the Republic of Poland but the loan agreement itself is concluded outside the borders of the Republic of Poland then such an agreement the loan will not be subject to tax on civil law transactions. Individual interpretation of the Director of KIS of January -KDIB. DR it should be stated that the described loan agreement is not subject to tax on civil law transactions pursuant to Art. .Section point of the Act on Tax on Civil Law Transactions because as the.
Applicant indicated the funds being the subject of the loan agreement at the time of its conclusion and at the time of transfer of each tranche were and will be in the Lender's bank account kept by a bank without a registered office in the territory of the Republic of Poland and the loan agreement was concluded outside the territory of the Republic of Poland in Ireland At this point it is only necessary to explain to the photo editing servies Applicant that under Art. section point above. According to the Act the tax on civil law transactions applies to transactions involving thingsabroad if the purchaser and not - as the Applicant incorrectly indicated.
In his own position - the person granting the loan has his place of residence or registered office. in the territory of the Republic of Poland. Individual interpretation of the Director of KIS of February -KDIB. JS The description of the facts presented in the application shows that the foreign entity granted a loan to a limited liability company based in Poland Borrower Applicant. The loan agreement was concluded in Germany at the lender's headquarters. The money in accordance with the provisions of the contract was transferred from Germany to the account in the Applicant's Polish bank.
Applicant indicated the funds being the subject of the loan agreement at the time of its conclusion and at the time of transfer of each tranche were and will be in the Lender's bank account kept by a bank without a registered office in the territory of the Republic of Poland and the loan agreement was concluded outside the territory of the Republic of Poland in Ireland At this point it is only necessary to explain to the photo editing servies Applicant that under Art. section point above. According to the Act the tax on civil law transactions applies to transactions involving thingsabroad if the purchaser and not - as the Applicant incorrectly indicated.
In his own position - the person granting the loan has his place of residence or registered office. in the territory of the Republic of Poland. Individual interpretation of the Director of KIS of February -KDIB. JS The description of the facts presented in the application shows that the foreign entity granted a loan to a limited liability company based in Poland Borrower Applicant. The loan agreement was concluded in Germany at the lender's headquarters. The money in accordance with the provisions of the contract was transferred from Germany to the account in the Applicant's Polish bank.