
at least according to the financial report.
13.4. I will be giving a lecture on this topic as part of an event organized by the Slovak Chamber of Tax Advisors. I would like to offer a constitutional perspective on this issue, one that will take us in a direction (completely) different from that of the tax administration.
However, this lecture will be more technical and theoretical. It is intended for a professional audience (in this case, tax advisors).
However, for anyone in the general public who is interested in this topic, I’d like to recommend our upcoming conference 💡Why and How to Stay in Slovakia 💡. Topics will include, for example (we’ll be adding more gradually):
🔹So what’s the deal with cars, VAT, and income tax?
🔹Optimal tax treatment of investment income;
🔹The “Švarc system” in a broader context (including the liability of statutory representatives);
🔹Criminal liability for corporate officers;
🔹EXIT bag (Plan B for those who think Slovakia might be heading down the path of Belarus), etc.
(link to the conference in the comments)
Overall, however, we will highlight the advantages Slovakia has over other countries—advantages we may not fully realize. After all, Slovakia may deserve more of our attention.
And she’s going to need it.
I firmly believe that by then we will have succeeded in changing the tax authority’s stance on income from trust and endowment funds. We’ll discuss this further there.
