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Country-by-Country Report: which companies are required to submit it in Ukraine this year?
17 April 2025
Country-by-Country Report of an international group of companies – when it should be submitted for the first time?
3 September 2024
Pillar One? Amount B? Should Ukrainian companies look forward to their implementation?
25 June 2024
Tax authorities report on the previous TP Campaign
6 March 2024
Changes to the Report on Controlled Transactions and Transfer Pricing Annex to CIT Return
11 January 2024
CbC reports required following signing of CbC MCAA
8 November 2022
Deadline approaching to settle WHT liabilities for transfer pricing adjustments
14 September 2022
Transfer pricing control during martial law
6 June 2022
CMU begins lifting the moratorium on tax audits
23 February 2021
Important changes in tax and legal legislation coming into effect in 2021
18 January 2021
Parliament adopts important changes to recently enacted BEPS legislation
18 December 2020
President of Ukraine signs anti-BEPS Law
22 May 2020
The Parliament adopts BEPS based tax reform
12 February 2020
The list of legal forms of non-resident organizations, the transactions with which are to be treated as controlled, has been extended
8 January 2020
Ukraine tax reform 2020: BEPS legislation is adopted in the first reading
5 December 2019
OECD’s newly released 2018 MAP statistics indicate that total number of cases continues to increase
27 September 2019
Denmark will allow reopening of old tax years following transfer pricing ruling
2 September 2019
Advance pricing agreements in Ukraine
14 July 2017
Important Changes to Transfer Pricing Legislation
16 July 2016
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