Transfer pricing issues have become one of the most important areas of tax law in recent years. This is due to the special interest of the tax authorities in transaction flows between related parties due to the risk of using intra-group transactions to understate the tax base or avoid taxation. Statutory regulations concerning the subject of transfer pricing, as well as a number of executive regulations in the field of intra-group settlements, have undergone dynamic changes in recent years. The situation is also not helped by the fact that general interpretations or tax explanations are usually at the design stage for a long time, leaving taxpayers with numerous doubts, which is a particular challenge for companies and management board members.

We provide Transfer pricing and other services throughout Poland in regional offices in Warsaw, Łódź and Poznań, Opole, Wrocław, Katowice, Lublin, Gdańsk and Zielona Góra.

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