Poland: Changes to the Polish VAT law

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Poland: Changes to the Polish VAT law

bogdanski.jpg

Bartosz Bogdanski

July 1 2015 saw another amendment to the Polish VAT law. This time the amendments are not of crucial nature and were aimed at sealing the tax system and preventing fiscal frauds. Moreover, due to extinction of the temporal period agreed with the European Commission, the Polish government had to partially resign from the restrictions on the VAT deduction from fuel purchases to passenger cars. From the Polish government's perspective, the first part of the modifications seem to be the most important. It is well known that VAT frauds became a serious problem for the Polish state budget and a prevention of 'carousel fraud' is one of the priorities of fiscal policy. The most effective solution seems to be a broadening of the scope of the reverse charge mechanism for local supplies, which eliminates the mechanism of VAT input/output credits which is vulnerable to fraud. Starting from July 1 2015, supplies of portable computers (tablets, notebooks, laptops, mobile phones, including smartphones and video games consoles) shall be subject to the reverse charge mechanism if supplies are carried out to VAT registered taxpayers. The important issue is that the above mentioned goods will be subject to the reverse charge mechanism only if the total net amount of goods within the so called "economically uniform transaction" exceeded 20,000 PLN ($5,000).

Another measure aimed to help the tax administration prevent fraud is a new reporting obligation. The authorities implemented a new kind of tax return – the 'recapitulative statement in domestic transactions'. Taxpayers that carry out any supplies subject to the local reverse charge mechanism (including supplies that were subject to local reverse charge before July 1) will be obliged to submit such return, regardless of the supply's value. The return should be submitted for the same periods as the VAT return.

The change which will affect the biggest number of taxpayers is a reduction of the restrictions related to VAT deductibility of fuel for passenger cars. Namely, taxpayers that make use of passenger cars for which the vehicle mileage records are not carried out will be entitled to deduct 50% of the VAT incurred in purchasing fuel for these cars. It should be stressed that the right to deduct will not be restricted with additional conditions, which means that this relief can be used broadly by entrepreneurs. Full VAT deductibility on fuel will still be restricted for taxpayers using the passenger cars solely for business purposes.

Bartosz Bogdanski (bartosz.bogdanski@mddp.pl)

MDDP

Website: www.mddp.pl

more across site & shared bottom lb ros

More from across our site

Mada has opened simultaneously in Paris and Dubai with an eight-lawyer team from Trinity International
PwC will continue to provide indirect tax services as part of the deal; in other news, the CJEU addressed the VAT treatment of TP adjustments
The arrival of Renan Ozturk and his team from A&M Tax introduces a unique proposition within the Middle East legal market, the firm said
The deal, reportedly worth $400m, will add Svalner Atlas’s 50-partner Nordic and Benelux presence to Ryan’s rapidly growing global footprint
The combined firm, which comprises over 1,400 lawyers, will boast robust tax practices in both the UK and US
Cascading tax reform, bullish foreign investment and vigorous TP audits have made Italy’s tax advisory market dynamic and stiffly competitive
As ITR data reveals that 2025 saw more than double the amount of private client hires than 2024, it seems firms are jostling for position
The US multinational paid 20% more tax in 2025 than 2024, it said; in other news, more than 25,000 HMRC staff have been upskilled on AI
Belt and Road Initiative countries face tax incentive conundrums due to pillar two, but relatively few countries would seek to scrap the project, ITR has heard
Hany Elnaggar examines how the OECD’s global minimum tax is reshaping the GCC’s investment incentive landscape, shifting the region from rate-based competition toward substance-driven economic positioning
Gift this article