Basically every taxable entity is obligated to keep a record with the relevant information regarding the business relationships in cases of transactions that have a foreign element. This includes the presentation of the economic and legal bases for agreements on prices.
The taxable entity is subject to the obligation to cooperate and the deadline for presenting the documentation upon the financial authority’s request consists of 60 days and in the case of records involving extraordinary or irregular business transactions only 30 days. SKS Steuerberatung offers comprehensive consultation, support and assistance with the complexities transfer pricing documentation. Transfer pricing documentation carefully planned and implemented by SKS Steuerberatung which documents the serious effort for observing the arm’s length principle in the determination of transfer pricing avoids sanctions and problems with company audits. Our SKS clients don’t rely on chance when it comes to transfer pricing documentation and put their trust in the professional competence of SKS Steuerberatung.