In the field of transfer pricing consultancy, our primary aim is to help our clients eliminate or at least significantly reduce tax exposure associated with transactions between related entities while optimising tax liability arising from said transactions.
Our services include but are not limited to analysing the tax risks arising from related-party transactions, preparing the mandatory tax documentation concerning these transactions, including comparability analysis from publicly accepted databases as well as developing transfer pricing policies and principles for related-party accounting.
Moreover, we also specialize in the allocation of profit to a permanent establishment of a foreign enterprise operating in Slovakia and the analysis/elaboration of agreements between related entities (including cost sharing agreements).
We may be of assistance in submitting your APAs (Advance Pricing Agreement) application as well in Mutual Agreement Procedures (MAPs).
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