Polski

 

On February 20, 2024, in a meeting of ECOFIN the EU Ministers of Economics and Finance decided to update the EU list of non-cooperative jurisdictions for tax purposes adopted by the Council of the European Union (so-called tax havens).

 

The updated list was provided in Annex I of the Council conclusions on the EU list of non-cooperative jurisdictions for tax purposes. The Council decided to remove four jurisdictions from the list, i.e. Bahamas, Belize, Seychelles, as well as Turks and Caicos Islands. 

Currently, the EU list of tax havens includes the following countries:

  1. American Samoa
  2. Antigua and Barbuda,
  3. Anguilla
  4. Fiji
  5. Guam
  6. Palau
  7. Panama
  8. Russian Federation
  9. Samoa
  10. Trinidad and Tobago
  11. US Virgin Islands
  12. Vanuatu

It should be noted that Seychelles  remain included on the respective Ordinances of the Minister of Finance dated 28 March 2019 on the determination of the current lists of countries and territories applying harmful tax competition in the field of corporate income tax and personal income tax

 

When will a transaction with “tax havens” become a tax scheme?

Pursuant to the provisions of the Polish Tax Ordinance, in case of payments, recognised as tax deductible costs, made to a related entity with its registered office, management board or place of residence in a country applying harmful tax competition (including those indicated in the EU list of non-cooperative jurisdictions for tax purposes) a tax scheme should in principle be identified.

Notably, the prerequisite for the occurrence of a tax scheme in such a case is neither the occurrence of a tax advantage nor even an activity leading to achieving it. The value of the transaction also remains irrelevant (e.g. a transaction regarding goods worth 1 PLN may also be identified as a tax scheme).

Furthermore, it should be noted that the provisions relating to mandatory disclosure rules (i.e. reporting of tax schemes) independently define which entities should be considered as related.

Should you have any questions regarding the above-discussed issue, please do not hesitate to contact us.