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The settlement of the service of renting employees for a foreign construction site does not fall within the definition of construction services. This means that the place of supply of services in the case of services provided to a taxpayer is the place where the taxpayer who is the Doubts may arise regarding the recording of such a service for natural persons who do not run a business. We are accustomed to the fact that such sales are, as a rul.
Recorded at the cash register, unless they benefit from the obligation to be exempt from the records. The question arises whether the sale of construction services on foreign real estate to a private person should also be phone number list registered at the cash register Here again, the definition of sales from the VAT Act comes to our aid, which refers to the paid provision of services within the country. Construction services on foreign real estate provided to natural persons not running.

A business will not be recorded at the cash register. The place of supply of these services is the country where the property is located However, a Polish entrepreneur should determine whether he is obliged to settle VAT in this other country Place of supply of construction services – summary As you can see, the provision of construction services on foreign real estate may cause many dilemmas when it comes to settling VAT. The lack of detailed explanations of the in problems with the proper interpretation of the regulations.
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