Our consultants can assist you with the following:

  • examination of the Company’s documentary obligation;
  • identification of the Company’s related parties according to the Act LXXXI of 1996 on Corporate Tax and Dividend Tax;
  • preparation of common documentation (EU TPD);
  • review of the existing transfer pricing documentation;
  • preparation of transfer pricing group policy;
  • database research to prove the prices applied in related party transactions are in line with the arm’s length principle (benchmark study);
  • determination of the arm’s length price of the company’s products or services in advance (advance pricing agreements).
  • Our partners can minimalize the risks arising from their transactions with the help of our tax optimisation service. We believe handling of taxation problems could be a value maker process.