In this article, the authors discuss key amendments to the Luxembourg-Poland Income and Capital Tax Treaty (1995), introduced by the 2012 Protocol. Particular attention is given to anti-avoidance rules and the real estate company clause.
In this article, the authors discuss key amendments to the Luxembourg-Poland Income and Capital Tax Treaty (1995), introduced by the 2012 Protocol. Particular attention is given to anti-avoidance rules and the real estate company clause.