Victory against tax authorities regarding transfer pricing issues

Our tax law experts successfully represented the e-commerce giant during the tax investigation performed by Lithuanian tax authorities. The main question was whether our client is buying digital marketing services from an associated entity according to the market price.

Our team drafted transfer pricing documentation and successfully proved that our client buys services according to the arm’s length principle and our drafted transfer pricing documentation is in the line with the OECD Guidelines. Tax authorities no longer had any claims when they read our drafted transfer pricing documentation.

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