The Danish Tax Administration recently published a binding answer from the Tax Council regarding the permanent establishment implications for an Irish company (H1). H1 belongs to a group, the H Group, which is the market leader for certain products (X products) and has a significant presence in several countries.
Source Orbitax
Latest Posts in "Denmark"
- Denmark NemHandel Consultation: Transition to a Single Peppol-Based E‑Invoicing Standard
- VAT Liability Arises on Pre-Invoicing of Cleaning Services
- VAT Liability Onset: Advance Invoicing of Spare Parts
- Union Services to Members Exempt from VAT Under Section 13(1)(4)
- Union Services to Members Exempt from VAT Under Section 13(1)(4)














