Grupa Lotos, Judgment of 2.05.2019, C-225/18
If, on the date of Poland’s accession to the EU, it was possible to deduct input tax on accommodation and catering services where a taxable person supplied tourism services, such deduction should continue to be allowed, even if national rules exclude such deduction. A prohibition of deduction would be incompatible with the standstill principle. In…...
If, on the date of Poland’s accession to the EU, it was possible to deduct input tax on accommodation and catering services where a taxable person supplied tourism services, such deduction should continue to be allowed, even if national rules exclude such deduction. A prohibition of deduction would be incompatible with the standstill principle. In…...