Dear Sirs,

We would like to inform you that as of January 1, 2023, within the framework of yet another amendment to the so-called “Polish Order”, amendments to the tax law on corporate income tax (CIT) came into force in accordance with the Law of October 7, 2022 on Amendments to the Law on Corporate Income Tax and Certain Other Laws (Journal of Laws of 2022, item 2180). It is worth mentioning that the regulations in some cases differ significantly from those in effect as of January 1, 2022, which we informed you about when they were coming into force.

We encourage you to contact us to discuss the detailed impact of these changes on the tax settlements of your companies.

We hereby present you with a summary of the changes to the CIT Law:

  1. Income shifted
  2. Transfer pricing
  3. Debt financing costs
  4. Holding companies
  5. Withholding tax
  6. Controlled Foreing Companies (CFC)
  7. Estonian CIT
  8. Bad debt relief
  9. Minimum income tax on buildings

1. Income shifted

2. Transfer pricing

3. Debt financing costs

Exceptions apply to the execution of such transactions in entities unrelated to the taxpayer and by a bank/ SKOK established in an EU/EEA country. In addition, the rule has been clarified, that the exclusion from tax costs does not apply to financing costs on debt that was obtained and spent before the end of 2021.

4. Holding companies

5. Withholding tax

6. Controlled Foreign Company (CFC)

7. Estonian CIT

8. Bad debt relief

9. Minimum income tax on buildings

In addition, the minimum income tax regulations have been suspended and are due to apply as of 1 January 2024. Meanwhile, the so-called ‘hidden dividend’ regulations (which were originally due to apply as of 1 January 2023) have been repealed.