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Tax Control and Customs and Fiscal Control in Cases Where a General Anti-Avoidance Rule May Apply Cover

Tax Control and Customs and Fiscal Control in Cases Where a General Anti-Avoidance Rule May Apply

By: Andrzej Huchla  
Open Access
|Jun 2023

Abstract

Pursuant to the provisions of the Tax Ordinance, if an anti-avoidance clause may apply in a tax control or a customs and fiscal control, the Head of the National Fiscal Administration (NFA), at the request of the control body, takes over such control in whole or in part and initiates tax proceedings within its scope. The control will be continued if no decision using the GAAR is issued in the tax proceeding carried out by the Head of the NFA. Detailed regulations define the procedure and effects of the Head of the NFA taking over control, but do not remove doubts related to the condition that it should take place as a result of an application to the Head of the NFA and the possibility of taking over the case only in part, and the effects of such partial takeover.

DOI: https://doi.org/10.15290/bsp.2023.28.02.04 | Journal eISSN: 2719-9452 | Journal ISSN: 1689-7404
Language: English, Polish
Page range: 55 - 65
Submitted on: Sep 30, 2022
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Accepted on: Apr 23, 2023
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Published on: Jun 14, 2023
In partnership with: Paradigm Publishing Services
Publication frequency: 4 issues per year

© 2023 Andrzej Huchla, published by University of Białystok
This work is licensed under the Creative Commons Attribution-NonCommercial-NoDerivatives 4.0 License.