The Stand-Still Principle in Civil Transaction Taxes

The decision rendered by the Regional Administrative Court in GdaƄsk on September 2, 2025 (I SA/Gd 506/25) represents a significant contribution to the evolving jurisprudence concerning the application of the European stand-still principle within the framework of Polish civil transaction taxation. This case involved the taxation of capital increase transactions undertaken by a limited liability … Continue reading The Stand-Still Principle in Civil Transaction Taxes