Year by year the effectiveness of tax inspections increases in relation to transactions made between related entities. New reporting tools that support analytical activities of tax bodies make it possible to much more quickly and efficiently select those entities for inspection that are very likely to commit mistakes in the area of transfer pricing.
One way to avoid or minimize the penalties that are imposed by tax bodies is to follow the arm’s length principle and prepare accurate documentation for transfer pricing.
The scope of the services we offer covers assistance in both developing a transfer pricing policy and preparing tax documents as well as also fulfilling the reporting duties. We prepare local files, benchmark analyses, compliance analyses as well as master files. We provide tax documentation so that they are optimum and safe in terms of business and taxes.
We keep watching any changes in laws and also announcements published by the Ministry of Finance and, at the same time, we participate in Transfer Pricing Forum meetings so that the services and solutions we provide could always comply with the regulations of the Personal Income Tax Act, Corporate Income Tax Act, the secondary legislation for these Acts as well as any current stand taken by the Ministry of Finance.