The purpose of the article is to analyze the regulations of Polish law, canon law and individual interpretations issued by the Director of National Tax Information in the context of taxation of persons providing services of a church attorney. The considerations focus on the tasks and activities undertaken by church attorneys and embedding the conclusions of the conducted considerations about the nature of the work of a church attorney in the context of tax laws and the cited individual interpretations. The research conducted leads to the conclusion that the services provided by a church attorney are of a unique nature that does not fit into any of the groupings defined by the Polish Classification of Goods and Services.
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