Transfer pricing
If I carry out controlled transactions with non-resident related parties and use the resale price method, but the tax service believes that I incorrectly selected the method for determining the compliance of the controlled transactions with the arm's length principle, can I appeal their decision in court?
12.09.2025 09:10
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Tags
- #transfer pricing
- #controlled operations
- #related parties
- #non-residents
- #resale price method
- #tax office
- #arm's length principle
- #appeal in court