In the related parties’ group it is impossible to do without tax documentation, benchmark analysis or transfer pricing policy. We have carried out hundreds of transfer pricing projects, of various levels of intricacy. We prepare local tax documentation, formulate transfer pricing policy of the whole international group, and carry out restructuring processes. We also obtain favorable verdicts of administrative courts regarding transfer pricing. In short we create optimal conditions for processes that demand laboratory precision.
Our transfer pricing team, equipped with the same analytical tools that are used by the tax authorities, can ensure making complete tax documentation, as well as its defense in the case of a potential tax control.