Post by account_disabled on Mar 14, 2024 5:03:27 GMT
Drawing conclusions based on data, or making predictions based on predictive analysis. The president signed the long-awaited Family Foundation Act. The main purpose of this act is to manage and protect the property in accordance with the wishes of the founder as stated in the statute. The bill will help keep a company's assets in the hands of one person and is designed to help the business continue to grow beyond a generation. Under the Act the Family Foundation will be able to carry out commercial activities but only by selling the property owned or owned by him unless the property is acquired purely for the purpose of further selling, renting out, leasing.
In any other way making available the property he owns or owns by joining and participating in Poland. or foreign commercial companies, investment funds, cooperatives and entities of a similar nature to purchase and sell securities, derivatives and rights of a similar nature to capital companies in which the family foundation holds shares or shares, partnerships AWB Directory in which the family foundation participates as a partner, and to the beneficiaries. The loan transaction is a foreign payment method by the family foundation to cover the amount related to the activities of the foundation to run the business on the farm. The Regulation also provides.
For exceptions to the general rule of compulsory shares in inheritance rights, whereby the right to a compulsory share can be modified, for example by waiving installments, postponing the payment period or reducing its amount. In addition, the bill provides an income tax exemption on foundation benefits to the founder and his or her immediate family members’ beneficiaries. The remaining beneficiaries will pay income tax at the new rate. In turn, the taxation of the foundation itself will also be of a specific nature since the foundation will only be obliged to pay corporate income tax when it benefits from a beneficiary or transfers its property.
In any other way making available the property he owns or owns by joining and participating in Poland. or foreign commercial companies, investment funds, cooperatives and entities of a similar nature to purchase and sell securities, derivatives and rights of a similar nature to capital companies in which the family foundation holds shares or shares, partnerships AWB Directory in which the family foundation participates as a partner, and to the beneficiaries. The loan transaction is a foreign payment method by the family foundation to cover the amount related to the activities of the foundation to run the business on the farm. The Regulation also provides.
For exceptions to the general rule of compulsory shares in inheritance rights, whereby the right to a compulsory share can be modified, for example by waiving installments, postponing the payment period or reducing its amount. In addition, the bill provides an income tax exemption on foundation benefits to the founder and his or her immediate family members’ beneficiaries. The remaining beneficiaries will pay income tax at the new rate. In turn, the taxation of the foundation itself will also be of a specific nature since the foundation will only be obliged to pay corporate income tax when it benefits from a beneficiary or transfers its property.