Poland: Tax exemption for new investments

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

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

Poland: Tax exemption for new investments

Sponsored by

sponsored-firms-mddp.png
intl-updates-small.jpg

From 1 July 2018, Poland became one special economic zone (SEZ) with extensive tax exemptions available. Since the early 90s, taxpayers have been able to benefit from public aid in the form of the income tax exemption that applies to profits earned in SEZs. Most of the exemptions resulted from qualifying expenses relating to new investments and increases in employment, but only within very specified locations.

Nowadays, taxpayers do not have to start or move their businesses to dedicated areas (SEZs) or ask to extend that area for the purpose of a given investment.

Under the new law, a taxpayer can apply for a decision granting tax exemption on profit derived from new investments. The decision remains valid for 10 years and cannot be extended beyond 15 years. The period depends on the region in which the new investment is to be made.

The decision will specify the period for which it is valid, as well as the scope of business within which the taxpayer may operate, and the conditions the taxpayer will have to meet in order to be entitled to the tax exemption. These include:

  • Number of employees and minimum employment period;

  • A minimum value of qualifying expenses and at the same time the maximum amount that will be taken into consideration when setting a limit for public aid;

  • The area in which the new investment is to be made; and

  • The deadline for fulfilling the new investment, after which the expenses will no longer qualify for public aid.

If the requirements mentioned in the decision ultimately are not met, the permit will be cancelled and the tax exemption abolished. The latter will have retroactive effect and the taxpayer will have to return all the public aid (the amount of the tax exemption) received under the decision.

Investors wishing to begin new business interests in Poland are strongly advised to take the new law into account, as the tax exemption available may substantially increase the rate of return of the investment.

In terms of the numbers involved: assuming that a large entrepreneur taxpayer makes an investment in a region where the public aid intensity is 35%, the limit for qualifying expenses is €40 million ($45.7 million). Thirty-five percent of that €40 million is public aid in the form of income tax exemption, which means, that taxable profit of up to around €74 million will be corporate income tax-exempt. Note that very large investments (more than €50 million) will be discussed individually.

more across site & shared bottom lb ros

More from across our site

Kingsley Napley’s claimants are arguing that taxing the provision of education breaches the European Convention on Human Rights
While pillar two can progress without the US, it won’t reach the same heights without American involvement, argues Renáta Bláhová, founding partner of BMB Partners Taxand
There are unanswered questions as to how foreign investors could reclaim money via tax credits, advisers suggested
Amid an ever-changing tax environment, India’s advisory market is bustling with competition ahead of the 2025 World Tax rankings and ITR Awards
The deal comes after PwC had accused Paul McNab of using confidential information; in other news, McDermott hired a new London tax head from a US rival
Looking at transfer pricing simplification is “obviously helpful”, but it should be done in line with current standards, a senior government figure reportedly said
The UK Government’s plans to close the tax gap via increased HM Revenue and Customs investment have failed to impress local tax advisers
Under the merged scheme for R&D tax relief introduced last year, rules on contracted out R&D have changed. James Dudbridge argues for a proactive approach when reviewing companies’ commercial arrangements
Cultural nuances could account for tax advisers’ perceived poor cost management, a local partner told ITR
Updated rules represent a significant shift in the Luxembourg TP landscape and emphasise the need for robust arm’s-length calculations, says Vanessa Ramos Ferrin of TransFair Pricing Solutions
Gift this article