Our services

Tax advice and
transfer pricing

Nobody in this society is in any way obliged, morally or any other way, to arrange their business relations or property so as to pay higher taxes.
Our detailed knowledge of the local tax system makes our team ideal to handle the most complex questions from our clients.

Whether you need entry analysis of the tax system of some country because you are entering the market, you have questions about the tax deductibility of individual costs incurred by your company or need to file a tax return, we will arrange all these activities subject to the national tax system for you. We also place great emphasis on qualified representation of clients during tax inspections and audits.

Transfer pricing represents the assessment of the economic relationship between related parties.

It is based on international legislation where the basic legislative framework is laid down in the 2010 OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations as well as the requirements of the national legislation contained in the Income Tax Act.
In the case of a tax audit, the tax authority requires proof of “comparability” with market prices between independent parties, leading to the necessity of preparing transfer pricing documentation with the identification of a suitable valuation method for transactions between related parties.

Globalization, as part of which more and more transactions are being carried out across borders and there are more and more relocations and the creations of transnational company structures, has specific implications for companies and individuals.

Cross-border business brings taxpayers a complex range of tax obligations across countries, but it can also be a source of tax benefits. Our team of experienced consultants helps our clients manage the administrative burden associated with different tax regimes while creating solutions to optimize the tax burden on the client. We have a sensitive perception of the negative impacts of tax on the business activities of our clients and we are ready to offer them the most suitable alternatives, including using different international structures.

Our detailed knowledge of the local tax system makes our team ideal to handle the most complex questions from our clients.

Whether you need entry analysis of the tax system of some country because you are entering the market, you have questions about the tax deductibility of individual costs incurred by your company or need to file a tax return, we will arrange all these activities subject to the national tax system for you. We also place great emphasis on qualified representation of clients during tax inspections and audits.

Transfer pricing represents the assessment of the economic relationship between related parties.

It is based on international legislation where the basic legislative framework is laid down in the 2010 OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations as well as the requirements of the national legislation contained in the Income Tax Act.
In the case of a tax audit, the tax authority requires proof of “comparability” with market prices between independent parties, leading to the necessity of preparing transfer pricing documentation with the identification of a suitable valuation method for transactions between related parties.

Globalization, as part of which more and more transactions are being carried out across borders and there are more and more relocations and the creations of transnational company structures, has specific implications for companies and individuals.

Cross-border business brings taxpayers a complex range of tax obligations across countries, but it can also be a source of tax benefits. Our team of experienced consultants helps our clients manage the administrative burden associated with different tax regimes while creating solutions to optimize the tax burden on the client. We have a sensitive perception of the negative impacts of tax on the business activities of our clients and we are ready to offer them the most suitable alternatives, including using different international structures.

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