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European Logistics Investment and Griffin Real Estate purchase land to develop warehouses in Ruda Slaska, Czeladz and Torun

Rymarz Zdort advised Griffin Real Estate and European Logistics Investment BV (“ELI”) in relation to the purchase of land and the construction of warehouses in locations where three new warehouse facilities are to be constructed: in Ruda Slaska (with a planned GLA of 56,408 sq.m., Czeladz (with a planned GLA of 36,510 sq.m.) and Torun (with a planned GLA of 16,903 sq.m.). These will be the 16th, 17th and 18th warehouses in ELI’s portfolio, and ELI’s investment strategy envisages further acquisitions.

The transaction is being effected in cooperation with Panattoni Development Europe, the market leader in the industrial property sector, which manages the development process involved in the construction of new warehouse facilities.

The work of the Rymarz Zdort team was managed by Piotr Fedorowicz, a partner in the real estate practice. The team comprised Karolina Bakowska (senior associate), Tomasz Karkowski (associate), Michal Kostewicz (associate) and Aleksandra Sliwa (associate).

Acquisition financing for and the refinancing of a portfolio of PV projects with an aggregate capacity of 45 MW

Rymarz Zdort advised the borrowers controlled by a fund managed by Aberdeen Standard Investments on the acquisition financing and refinancing of one of its photovoltaic portfolios with an aggregate capacity of 45 MW, located in Poland.

The transaction team was supervised by Marcin Iwaniszyn, attorney-at-law, partner and co-head of the Banking & Finance practice of Rymarz Zdort, and was led by Dr Jakub Rachwol (attorney-at-law, counsel), who was assisted by Robert Smigielski (associate) and Patryk Gelar (associate). M&A aspects of the financing were handled by Jakub Krzemien (advocate, counsel).

Regulatory and energy-related support was provided by partner Marek Durski, attorney-at-law and head of the Energy & Natural Resources practice of Rymarz Zdort, assisted by Adrian Augustyniak (attorney-at-law, associate), Kacper Stanosz (associate) and Andrzej Granat (associate).

The sale of 100% of the shares in Virgin Mobile Polska to P4

Rymarz Zdort has been advising the sellers on the transaction of the sale of 100% of the shares in Virgin Mobile Polska sp. z o.o. to P4 sp. z o.o., the operator of the Play mobile telecommunications network.

A preliminary agreement was entered into on 22 April 2020, and the finalisation of the transaction will be subject to antimonopoly clearance. The transaction is valued at EUR 13.4 million.

The firm’s transaction team is headed by Dr Jakub Zagrajek, a partner in the Corporate Department. The team comprises Jerzy Bombczynski (counsel) and Aleksandra Kabac (senior associate).

Tax advice in connection with the transaction is being provided by Robert Krasnodebski (partner), Marek Kanczew (counsel), Marek Sikorski (senior associate) and Michal Chyla (associate).

Mastercard joins Polski Standard Płatności and becomes a participant of the BLIK system

Rymarz Zdort advised Polski Standard Płatności sp. z o.o. (“PSP”), the operator of the BLIK system, in connection with the accession of Mastercard to PSP as an investor and the start of commercial collaboration between Mastercard and PSP. As part of the cooperation, it is planned that contactless technology will be made available to BLIK users globally at terminals that accept contactless payments using Mastercard-branded products.

Before the deal, the shares in PSP were held by six banks: Alior Bank, Bank Millennium, Santander Bank Polska, ING Bank Śląski, mBank and PKO Bank Polski. After the conditions indicated in the contract were fulfilled, Mastercard purchased newly-issued shares in PSP and became its seventh shareholder authorised to make decisions regarding the Company on the same terms as the other shareholders.

BLIK is a Polish mobile payment system that enables mobile banking application users to make payments at points of sale and for online purchases, to make cash withdrawals and deposits at ATMs, and to make instant mobile money transfers.

From the Rymarz Zdort side, the transaction was supervised by the managing partner Pawel Zdort, and the team comprised Katarzyna Lukaszewicz (counsel) and Aleksander Jakubisiak (associate). Iwona Her (partner) and Irmina Trybalska (counsel) were in charge of antimonopoly advice relating to the transaction.

Rymarz Zdort’s contribution to CEE Legal Matters’ Comparative Guide: Capital Markets 2020

The Comparative Guide: Capital Markets 2020 published by CEE Legal Matters contains a summary of the most important information on and a discussion of the regulatory environment for local equity and debt markets.

The chapter addressing the capital market in Poland was prepared by Paweł Rymarz, managing partner, together with Ewa Bober and Jacek Zawadzki, partners.

For the full chapter concerning Poland, please click here >>>.

To view full CEE Legal Matters Comparative Legal Guide, please click here >>>.

Cordia International acquired shares in Polnord S.A.

Rymarz Zdort attorneys advised Cordia International Zrt. on the acquisition of a majority equity stake in Polnord S.A. (representing 92.9% of the total number of votes and shares in the company). The transaction mainly involved: (i) the subscription for the newly issued Series T shares in Polnord S.A., which represented approximately 65.3% of all of the shares in the company (including the newly issued shares); and (ii) the acquisition of approximately 27.3% of the shares in the company within a tender offer for all of the remaining shares in Polnord. The tender offer was settled on 9 April 2020. The aggregate value of the transaction was approximately PLN 229.4 million (EUR 50.3 million).

The recapitalisation allowed Polnord to fulfil its obligations under a credit loan agreement and maturing bonds. For Cordia, the Polnord acquisition is in line with its growth strategy in Poland; however, for the time being, Cordia has not disclosed its plans as regards Polnord’s future operations.

Cordia International Zrt. is a Hungarian construction and development company and a member of the Futureal group. It executes residential development projects in Poland, Romania, Hungary and Spain. The Futureal group has a portfolio of over 120 projects with a total area of 2 million sq.m. with an estimated value of EUR 3 billion.

Polnord S.A. is a Polish construction and development company operating on the residential and commercial property markets and is listed on the regulated market of the Warsaw Stock Exchange. Its residential projects are located mainly in Warsaw, the Tri-city, Olsztyn, Szczecin, Łódź and Wrocław. Polnord has a substantial land bank, which allows it to develop investments.

The transaction team was headed by partners: Pawel Zdort and Ewa Bober. The team comprised: Krzysztof Sajchta (partner), Magdalena Pyzik-Walag (partner), Leszek Cyganiewicz (senior associate), Michal Milewski (senior associate), Arkadiusz Karwala (associate), Aleksander Jakubisiak (associate) and Jakub Cichuta (associate).

Antitrust advice regarding certain aspects of the transaction was provided by Iwona Her, a partner and the head of the antitrust / competition practice, and Irmina Trybalska (counsel).

Rymarz Zdort among best Polish law firms according to the newest edition of The Legal 500 EMEA 2020

The newest The Legal 500 EMEA 2020 ranking recognises Rymarz Zdort as one of the leaders among Polish law firms.

Rymarz Zdort has been ranked in Tier 1 in Commercial, Corporate and M&A, Capital Markets, Energy & Natural Resources, and Private Equity. Moreover, in the following categories: Competition/Antitrust, Investment Funds, Restructuring & Insolvency and White-Collar Crime, it has been ranked in Tier 2. In Tier 3, it has been recognised in the following categories: Banking & Finance, Dispute Resolution, Real Estate, and Tax.

We are pleased to inform that our attorneys received individual recognitions in the following categories:

Banking & Finance

  • Marcin Iwaniszyn (Next Generation Partners)

Capital Markets

  • Marcin Chyliński (Leading Individuals)

Commercial, Corporate and M&A

  • Paweł Rymarz (Hall of Fame)
  • Paweł Zdort (Leading Individuals)

Energy & Natural Resources

  • Marek Durski (Next Generation Partners)

Investment Funds

  • Zofia Frydrychowicz (Next Generation Partners)

Private Equity

  • Paweł Rymarz (Leading Individuals)
  • Paweł Zdort (Leading Individuals)
  • Filip Uzieblo (Next Generation Partners)

Real Estate

  • Agnieszka Koniewicz (Rising Stars)

Restructuring & Insolvency

  • Magdalena Pyzik-Waląg (Next Generation Partners)

Tax

  • Robert Krasnodębski (Leading Individuals)

We would like to thank our clients for their trust and recommendations. Congratulations to all of the recognised attorneys and their teams.

Tax remedies under the anti-crisis shield

In response to the state of epidemic emergency announced in Poland and its impact on the economy, new regulations have been introduced aimed at mitigating the resulting burden on businesses and improving the situation of employees. The government’s remedial package called “The Economic and Social Anti-Crisis Shield for the Security of Businesses and Employees in the Face of the Sars CoV-2 Virus Pandemic” (the “Anti-Crisis Shield”) includes certain facilitations and relief measures with regard to the settlement of tax liabilities.

The regulations pertaining to taxes that were eventually adopted in the form of the Act dated 31 March 2020 on amending the Act on special solutions related to preventing, counteracting and fighting COVID-19, other infectious diseases and the resulting crisis situations, and on amending certain other acts (the “Anti-Crisis Act”) contain certain alterations as compared to the initial assumptions and draft laws; for example, the intended suspension of tax inspections, audits and proceedings was ultimately not written into the Anti-Crisis Act.

The Anti-Crisis Act was published in the Journal of Laws and entered into force on 31 March 2020.

Below we present a summary of the most important changes written into the Anti-Crisis Act as well as the regulations of the Minister of Finance.

POSTPONEMENT OF DEADLINES FOR THE SUBMISSION OF DECLARATIONS AND INFORMATION FILINGS

The Anti-Crisis Act and the regulations issued by the Minister of Finance postponed the deadlines for the submission of certain declarations, returns, and information filings. Deadlines for the submission of the following, among others, were postponed:

(i) CIT-8: until 31 May 2020; and

(ii) ORD-U and IFT-2R: until 31 May 2020 (for entities the fiscal year of which is the calendar year).

The deadline for filing annual personal income tax returns was extended until 31 May 2020.

DEFERRAL OF THE DEADLINE FOR THE PREPARATION AND APPROVAL OF FINANCIAL STATEMENTS

The deadline for the preparation and approval of financial statements was postponed by three months. For certain entities, such as entities subject to the supervision of the Polish Financial Supervision Authority, a two-month postponement was adopted.

SUSPENSION OF PROCEDURAL AND COURT TIME LIMITS

During the state of epidemic emergency no new procedural and court time-limit periods will commence, and any already-running time limit periods are suspended for the duration of the state of epidemic emergency. The above applies to, among others, proceedings, audits and inspections conducted based on the Tax Ordinance, fiscal inspections of customs dues, court proceedings, including administrative proceedings, and criminal fiscal proceedings.

TAX-PLANNING SCHEME REPORTING

No new time-limit periods concerning the reporting of tax-planning schemes will commence, and any already-running time-limit periods are suspended from 31 March until the state of epidemic emergency is lifted; however, until no later than 30 June 2020.

LOSS CARRY-FORWARD AND CARRY-BACK

The Anti-Crisis Act provides that CIT and PIT taxpayers that incur a tax loss in 2020 and whose revenues generated in 2020 are at least 50% lower than those earned in 2019 will be entitled to deduct the loss incurred in 2020 from their 2019 income up to the amount of PLN 5 million. The taxpayers will be able to carry forward any undeducted losses to the following tax years.

DEDUCTIBLE DONATIONS FOR THE FIGHT AGAINST COVID-19

The Anti-Crisis Act states that taxpayers who make donations, whether monetary or in-kind, towards causes related to preventing and fighting coronavirus infections or for the benefit of healthcare facilities, including medical transport entities, as well as donations to the Material Reserves Agency and the Central Base of Sanitary and Anti-Epidemic Reserves will be able to deduct the value of such donations from their income. The deductible amount will differ depending on when the donation is provided, i.e. for donations provided until 30 April 2020, an amount corresponding to 200% of the value of the donation will be eligible for deduction; for donations provided in May 2020, an amount corresponding to 150% of the value of the donation will be eligible for deduction, and for donations provided between 1 June and 30 September 2020, taxpayers will be entitled to deduct an amount corresponding to the value of the donation.

DEFERRAL OF THE DEADLINE FOR THE PAYMENT OF THE MINIMUM TAX ON COMMERCIAL PROPERTIES

The deadline for the payment of the tax on revenue from buildings (what is referred to as the minimum tax on commercial properties) for the months of March, April and May 2020 has been postponed until 20 July 2020. The deferral will be available to those taxpayers whose businesses were adversely affected in a given month due to COVID-19 and who generated revenues at least 50% lower than in the corresponding month of 2019.

ABANDONMENT OF THE SIMPLIFIED ADVANCE TAX PAYMENTS SCHEME

Small taxpayers who in 2020 opted to make simplified advance tax payments towards their annual income tax obligations will be able to revert to making such payments for the months of March to December 2020 based on their current income provided that their businesses have been adversely affected by COVID-19.

EXEMPTION FROM MANDATORY BAD DEBT RELIEF IN INCOME TAXES

On 1 January 2020, provisions on what is referred to as bad debt relief in income taxes entered into force based on which any overdue liabilities increase a debtor’s taxable amounts. The Anti-Crisis Act provides that taxpayers whose businesses were adversely affected in a given reporting period due to the COVID‑19 epidemic and who generated revenues at least 50% lower than in the corresponding reporting period of 2019 will not be required to increase their advance tax payments in relation to unpaid liabilities for the relevant reporting periods in 2020.

POSTPONEMENT OF THE DEADLINE FOR THE REMITTANCE OF ADVANCE TAX PAYMENTS ON SALARIES

The Anti-Crisis Act postpones the deadline by which employers are required to remit advance income tax payments withheld in March and April 2020 with regard to, inter alia, the salaries of employees and remuneration paid to other retained workers until 1 June 2020 if the relevant tax remitters were adversely affected by the COVID‑19 epidemic.

DEADLINE FOR THE ISSUANCE OF INDIVIDUAL TAX RULINGS

The Anti-Crisis Act extends the deadline for the issuance of individual tax rulings. The three-month deadline will be extended by an additional three months for:

(i) applications submitted but not examined by the date on which the new provisions enter into force; and

(ii) applications submitted between the date the new provisions enter into force and the date until the state of epidemic emergency ends. In addition, the Minister of Finance may further extend such deadline by a maximum of up to three more months in recognition of the consequences of the COVID-19 epidemic.

OTHER CHANGES

The Anti-Crisis Act also contains other measures seeking to mitigate the tax burden of taxpayers affected by the epidemic by introducing reliefs such as:

(i) the waiver of the prolongation fee for deferring a tax payment deadline or breaking a tax payment up into instalments; and

(ii) the possibility to make a voluntary disclosure (czynny żal) filing electronically. In addition, local councils will be authorized to exempt businesses the financial liquidity of which deteriorated due to the adverse economic consequences of COVID-19 from the tax on the real estate, land, buildings and structures used for the purpose of their business activity or to postpone the real estate tax  deadlines falling in April, May and June 2020 until no later than 30 September 2020.

REMEDIES RELATED TO THE PAYMENT OF TAX LIABILITIES

In addition to the remedies available under the new provisions set forth in the Anti-Crisis Act, taxpayers who face problems with the timely payment of their tax liabilities may apply for relief. The existing provisions of the Tax Ordinance (Article 67a et seq.) allow taxpayers to request:

(i) that their tax payment deadline be deferred or that the due tax be broken up into instalments;

(ii) that their overdue tax liabilities be deferred or broken down into instalments; or

(iii) that their overdue tax liabilities be cancelled in whole or in part. Pursuant to the Anti-Crisis Act, no prolongation fee will be charged in connection with tax deferral decisions.

 THE RYMARZ ZDORT TAX TEAM

The Rymarz Zdort tax team is one of the largest teams of its type operating within a single law firm and it provides a broad range of comprehensive tax advisory services. The team comprises tax advisors, advocates and tax experts who have extensive experience gained in the largest Polish law firms and Big Four firms. We cooperate closely with lawyers from other practices to deliver complex solutions that comprise not only top-of-the-range tax advice but also general insights into a client’s legal position. Our advisory services cover a broad spectrum of tax matters, including CIT, PIT, VAT, real estate tax, tax on civil law transactions and international taxes.

If you are interested in more detailed information on the new regulations enacted due to the coronavirus epidemic emergency, please do not hesitate to contact us.

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