
Transfer pricing under scrutiny by the authorities: the most common transactions and key risks in practice
Transfer pricing has been one of the most frequently scrutinised areas for several years now, and the tax authorities’ activities in this regard are becoming increasingly sophisticated and effective.
To select companies and identify areas of increased risk, the authorities use data from various sources, including transfer pricing reports (TPRs), SAF-T and financial statements.
What does this mean?
It means that businesses should maintain their accounts with due diligence, ensure the consistency of all information provided, and be prepared for detailed checks.
To help with this, K&P invites you to a webinar, where Wojciech Śliż and Katarzyna Pustułka-Wiater will present the main areas of risk and discuss the current approach of the tax authorities, as well as effective solutions and best practices based on specific examples.
Agenda:
✔️ Upcoming deadlines for fulfilling 2025 obligations
✔️ Related entities and transactions of a similar nature
✔️ Transactions relating to financial matters, distribution, support services and intangibles – typical challenges in light of practice and case law
Details and the registration here




