May 2024
"Report: Transfer pricing audits in Poland, Statistics, case law, and individual tax rulings” is a comprehensive analysis of statistical data on transfer pricing audits and the latest case law of the administrative courts concerning this subject.
Report: Transfer pricing audits in Poland in 2023. Statistics, case law, and individual tax rulings
Raport: Kontrole cen transferowych w 2023 r. Statystyki, orzecznictwo i interpretacje
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The analysed year was marked by some uncertainty, both as regards the manner of completing formal obligations, as well as a risk of transfer pricing disputes with tax authorities.
The deadline for submitting TPR was again modified over the course of the year. Finally, for the tax year beginning after 31 December 2021, taxpayers could submit TPR until 31 January 2024, although initially, the proposed regulation postponing this deadline provided for an even longer deadline.
At the same time, the mere combination of a transfer pricing statement and TPR has caused many taxpayers to reconsider who should sign such a document – including considering the possibility of transferring this obligation to a professional representative.
Report: Transfer pricing audits in Poland in 2023. Statistics, case law, and individual tax rulings
Raport: Kontrole cen transferowych w 2023 r. Statystyki, orzecznictwo i interpretacje
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