- Prices paid in transactions between related parties are of a significant international tax issue
- Companies operating with international and domestic related persons have to make a study on transfer pricing, in accordance with the requirements of international as well as Croatian tax regulations, to argue and prove the market conditions under which services between related persons are charged
- Our services include: analysis of group TP policies, advisory related to TP optimisation for MNE Groups, preparation of masterfile and local files
Mazars- Country by country reporting 2019- a collection of local CbC report requirements across jurisdictions.
Transfer Pricing Rules 2019
Mazars- Transfer Pricing Rules 2019 – the collection of local country transfer pricing requirements across jurisdictions.