Transfer pricing documentation

BUFIKS specializes in transfer prices documentation for the transactions performed between affiliated entities in accordance to the Corporate Income Tax Act provisions, Personal Income Tax Act provisions as well as Personal Income Tax Act and OECD implementing regulations.

The documentation is being prepared with the close cooperation of Client’s Financial Department.

Our objective is to ensure the tax and fiscal safety of our Clients. Transactions between affiliated entities will incorporate, among others, substantive analysis of the transaction flow, involved assets analysis and additionally risks beard by the affiliate entities.

We are providing support to our Clients:

  • In establishing, if affiliated entities are obliged to maintain transfer prices documentation, and if yes what is the relevant time period;
  • In assessing the risks linked to transfer prices documentation and proposing at the same times solutions on how to mitigate the same;
  • In preparation of transfer prices in regards to goods or services sales or purchases;
  • In transfer prices updates in accordance with respective rules and regulations.
  • Production companies;
  • Building and construction companies,
  • IT, ITO services,
  • Wholesale and retail trade
  • Public transportation,
  • Municipal services,
  • Medical services,
  • Financial services.

We have many years of experience in preparation of transfer prices documentation, which have been already audited by Tax Authorities in several of our Clients.

Among the recipients of the above mentioned services provided by BUFIKS certified auditors we can distinguish companies from the following business segments:

  • Production companies;
  • Building and construction companies,
  • IT, ITO services,
  • Wholesale and retail trade
  • Public transportation,
  • Municipal services,
  • Medical services,
  • Financial services.

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