Important now

Check our newest soultions in the scope of property tax, family foundations, R&D tax relief, B2B contracts and many more!  

Check our newest soultions in the scope of property tax, family foundations, R&D tax relief, B2B contracts and many more!  

Premiere of the Made in Poland Report 2024

Premiere of the Made in Poland Report 2024

Poland: A Prime Destination for Businesses Aiming to Contribute to Ukraine’s Recovery

Poland: A Prime Destination for Businesses Aiming to Contribute to Ukraine’s Recovery

ESG at ALTO – Ewa Solarz will head a new business line

ESG at ALTO – Ewa Solarz will head a new business line

23 May 2022

Dziennik Gazeta Prawna: There is no PCC from goodwill

comment

Tax

An important judgment of the Supreme Administrative Court was passed regarding the positive value of the company and its taxation on PCC (tax on civil transactions).

The Supreme Administrative Court issued a judgment (Resolution of the Supreme Administrative Court of February 21, 2022, reference number III FPS 2/21) regarding whether the positive goodwill of the so-called goodwill is property law and should it be subject to PCC.

The judges decided that goodwill is not a property right, even though it has a financial dimension. Therefore, it should not be taxed with the tax on civil law transactions.

The decision of the Supreme Administrative Court for Dziennik Gazeta Prawna is commented on by our expert – Łukasz Kalisz, Senior Consultant, tax advisor, advocate at ALTO:

,,The Supreme Administrative Court rightly stated that positive goodwill does not constitute a property right. Although goodwill has a certain property dimension, its value can be determined in some way, it is also subject to depreciation for income tax purposes, but it cannot be a separate, independent subject of trade. The resolution of the Supreme Administrative Court was adopted in a specific administrative court case, but the conclusions resulting from its thesis and justification will have a wide impact on the interpretation of the provisions of the PCC Act. This decision is a very strong argument in favor of the correction of the declaration and recovery of tax overpayment. It can also be a premise for use in pending disputes with tax authorities.”

*** The full text of the article is available on podatki.gazetaprawna.pl

Źródło: https://podatki.gazetaprawna.pl/artykuly/8362617,pcc-od-goodwill-orzeczenie-nsa-dodatnia-wartosc-firmy-nie-jest-prawem-majatkowym.html

23 May 2022

You may be interested:

wygrana zespół ranking ALTO

Tax

9 September 2024

A range of distinctions in the ITR World Tax and ITR World TP 2024/2025 rankings

The recently announced results of the ITR World Tax and ITR World TP 2025 rankings have brought us distinctions in three categorie...

Read more
A range of distinctions in the ITR World Tax and ITR World TP 2024/2025 rankings
ALTO TAX ESG

Tax

28 August 2024

Tomasz Wagner strengthens the tax advisory service line at ALTO as a new Partner

Even as summer draws to a close, we can confidently say it has been an exceptionally dynamic period at ALTO, marked by numerous ch...

Read more
Tomasz Wagner strengthens the tax advisory service line at ALTO as a new Partner
See all

Always be up to date
- receive ALTO Alert

*By submitting the application, you consent to the processing of personal data in accordance withPrivacy policy
and confirm acknowledgement of the information clause