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Transfer price documentation:
Our company undertake it for an order
22/2009 (X.16) PM and OECD relevant governing
principle in everything suitable usual market price register, on his more
known name transfer price the completion of a documentation. Strange emphasis
invest in that direction, that let the selected method reflect it mostly
at the customer's firm, his company group applied practice, let him support
it adequately, let be deserved in harmony and with the inland revenue
office's expectations.
We consider it important one to mention that preparing a documentation only is
the transfer price very slightly standardize, it is necessary to prepare
them individualwise always. In this manner, in an eye a lot with other other
known regulations (for example accountancy politics), a sample documentation
that everything is with smaller corrections does not exist onto a undertaking
he could be applicable uniformly.
The one in which the comparative data and analyses figure is the most valuable
part of the regulation. It to analyses, claim, concerned according to need,
we use domestic and international databases. In as much the usage of foreign
country comparative data necessary, we use the best-known public market databases in that case.
We call the respected interested ones' attention to the fact that are
the deficiencies of the documentation merely already single APEH (NAV) who can be
sanctioned at least 2 million Ft of omission fine opinions consider this possible one it
sum, as a transaction not documented even to establish. Our company, quasi
on a single manner not only undertakes the completion of the documentation,
but the review to be done compulsorily annually his accomplishment, the
documentation onto a continuous day ready his keeping.
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