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Ideas for amendments to the KSeF regulations

  • Exclude exempt taxpayers from KSeF
  • Exclude foreign taxpayers from KSeF
  • Allow invoicing of consumer sales in KSeF
  • Keep invoicing outside of KSeF for small transactions confirmed by receipt with buyer’s tax identification number (NIP)
  • Remove QR codes
  • Remove unnecessary branches
  • Implement KSeF gradually
  • Reconsider whether the date of issuing an e-invoice must necessarily be the date of its submission to KSeF
  • Exclude exempt taxpayers from KSeF
  • Argument for excluding exempt taxpayers from KSeF is that their invoices do not include VAT amount
  • Mandatory KSeF will make it difficult for small businesses to operate
  • Best solution would be to allow e-invoicing for exempt taxpayers without mandatory usage
  • Exclude foreign taxpayers from KSeF, except those with a permanent establishment in Poland
  • Imposing invoicing obligation in KSeF on foreign entities with a permanent establishment in Poland is inconsistent with the executive decision of the Council
  • No mention of permanent establishment in the decision
  • Allowing invoicing of consumer sales in KSeF would simplify invoicing procedures for businesses selling to both companies and consumers
  • Optional transition to KSeF for all sales should be allowed to facilitate e-invoice implementation
  • Businesses wanting to issue consumer invoices outside of KSeF should still be allowed to do so.

Source: zrozumvat.pl

Note that this post was (partially) written with the help of AI. It is always useful to review the original source material, and where needed to obtain (local) advice from a specialist.

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