With the increase of intra-company transaction, local jurisdictions as well as the European Union put a great emphasize on transfer pricing policies. The arm’s length principle plays a key figure when it comes to transactions between related parties, in order to prevent shifting the profits into another companies or countries, therefore minimizing the tax burden for their own interests. To prove that the legislation is respected and the transactions are fair, a documentation with supporting evidence must be maintained, confirming the compliance with relevant regulations.
Over the past years we have developed specialized international teams of consultants to provide full-range services related to transfer pricing. We have vast experience with hundreds of companies of various size, coming from many different sectors and countries.
Our experts help you to effectively address all aspects related to transfer pricing policy in your company and make sure you meet the documentation regulatory requirements. From initial review of transactions and examination of policies, through design of the most suitable transfer pricing strategy, to management of required documentation and dealing with statutory authorities, we are ready to cover full support you might need when dealing with such a complex matter as transfer pricing.
Check our comprehensive overviews of transfer pricing policies regulatory frameworks from the Czech Republic, Hungary, Poland, Romania and Slovakia. In our free eBooks, which are available for download, you can read more about the arm’s length principle, the documentation including its types, general rules and deadlines, methods of transfer pricing documentation, advance pricing agreements and penalties.