عرض مشاركة واحدة
قديم 03-02-15, 08:20 pm   رقم المشاركة : 68
Hermanor
موقوف من قبل الأدارة





معلومات إضافية
  النقاط : 10
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  الحالة : Hermanor غير متواجد حالياً
pit 2014 program


There are two rules of settlement with the saddle responsibility in Poland only with development or our profits is exempt from dues and the principle of analogical finding (the gains is taxed in Poland). These rules administer to the elementary forms of trade, such as not. End suite working abroad. Let us therefore several European countries in which we exploit and what obliging of tax in Poland us then applies: Belarus (released), Czech Republic (released), pity za 2014 Denmark (taxed), France (released), Greece (released), the Netherlands (taxed), Ireland (released), Iceland (taxed), Lithuania (released), Italy (released), Synergetic Principality (released), on the internet you will find a full table of specify taxation of 19 April 2010. worldwide Agreement forceful us that concerns us proportional withdrawal requires us we in the levy year in Poland also scrawled gains from abroad (all things considered printed T-36 and Annex T / ZG). When it comes to tax countdown, here, we necessity to regard it. We knock off assessment in the country in which the proportion earning no more than the contribution that we transmit in Poland. Reward that the octroi revert from everywhere is also taxed in Poland. Reimbursement is added to all revenues received from abroad. HOLE / ZG is needed in the Annex to tax returns: PIT-36, PIT-36L, T-38 and T-39. We basic to seize it one at a time to each encumbrance indemnification if you bear several. The compulsion to compel printing depends of way on the mother country of origination of our income. Foreigners working in Poland does not possess the liability to compel the TRENCH / ZG. Printing is made independently to go to each country in which we received earnings.







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