The court was guided by the fact that since the plaintiff applied for pension assignment in 2023, when new rules for calculating service years were already in effect, these new rules requiring calendar service years should be applied to him. The court emphasized that the mere fact of dismissal from service in 2016 is not decisive – the moment of applying for pension assignment, when the person decided to exercise their right, is important. The court also noted that privileged service years are taken into account only for determining the pension amount, not for its assignment.
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