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VAT on payments from the group to offset the profitability of Czech companies

The Supreme Administrative Court (SAC) in the case 3 Afs 54/2020-73 (Eli Lilly) ruled that
marketing service invoiced by a Czech distributor of medicines to its parent company in foreign
country constituted a separate supply of service taxable in foreign country (and it is not taxable
ancillary to the local sale of medicines).

Source: EY

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