Year by year, the number of tax audits questioning the correctness of the prices used in transactions between related parties (transfer pricing) increases. The only way to avoid having the income estimated by tax authorities is to prepare the appropriate transfer pricing report in advance.
We prepare the transfer pricing report of transactions between related parties (with capital, personal or family ties), as well as the transfer pricing report of transactions with the entities established in countries with harmful tax competition. Transfer pricing report prepared by our company is optimal and safe both from a business and tax perspective.
On an ongoing basis we follow changes in regulations so that the services that we provide and the proposed solutions are not lagging behind international standards and are always consistent with national law, as well as with the provisions of the personal income tax act and corporate income tax act.