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Analysis of taxation of Controlled Foreign Companies (CFCs)
Holding a significant stake in foreign entities, particularly those located outside the European Union, may trigger the risk of these entities being classified as controlled foreign companies (CFCs), whose profits are subject to taxation in Poland at the level of the owner.
Our offer
Paczuski Taudul delivers comprehensive support related to CFCs, including:
- analysing whether a given foreign entity qualifies as a CFC, including preparing a hypothetical tax calculation to compare effective taxation,
- providing support in calculating CFC tax and preparing the relevant tax return.