Post by joita973 on Feb 12, 2024 1:00:49 GMT -8
The Director of the Tax Chamber also cited the case law of the European Court of Justice and the Supreme Court presenting a different position than that expressed in the resolution of the Supreme Court of October cited Act through its incorrect interpretation and violation of . of the Constitution of the Republic of Poland by applying Art. The directive does not contain interpretative guidelines therefore the abovementioned provision cannot be directly applied. . In response to the cassation complaint the Director of the Tax Chamber in.
Acting through a representative a legal advisor requested that it be dismissed and that the costs of the Cape Verde Email List proceedings including the costs of legal representation be awarded in accordance with the prescribed standards. . In the pleading of March the Companys representative added that the Companys position presented in the cassation appeal is also confirmed by the ECJ judgment of June in case C RLRE Tellmer Property which was passed after submitting the cassation appeal. Justifying the allegation of violation of Art. section of the VAT Act taking into account the content of Art.
Ab of the th Directive the company also drew attention to proposals for amendments to Directive EC of the Council of November on the common system of value added tax hereinafter referred to as Directive i.e. the Directive that replaced the th Directive brought by the Commission of the European Communities. One of these changes is a proposed regulation which will state that a separately defined insurance element the insurance should be treated as a separate taxexempt service.
Acting through a representative a legal advisor requested that it be dismissed and that the costs of the Cape Verde Email List proceedings including the costs of legal representation be awarded in accordance with the prescribed standards. . In the pleading of March the Companys representative added that the Companys position presented in the cassation appeal is also confirmed by the ECJ judgment of June in case C RLRE Tellmer Property which was passed after submitting the cassation appeal. Justifying the allegation of violation of Art. section of the VAT Act taking into account the content of Art.
Ab of the th Directive the company also drew attention to proposals for amendments to Directive EC of the Council of November on the common system of value added tax hereinafter referred to as Directive i.e. the Directive that replaced the th Directive brought by the Commission of the European Communities. One of these changes is a proposed regulation which will state that a separately defined insurance element the insurance should be treated as a separate taxexempt service.