An area of particularly high risk are transactions carried out between affiliated entities. Watching over the years inspection proceedings conducted in this respect by fiscal authorities, their methodology, consequences of the discoveries compared with the extent of entrepreneur’s preparation we are convinced that a well construed argumentation provides for an effective shield in relations with tax administration. Within the scope of our services we prepare transfer prices records complying with binding requirements, identifying existing fiscal risks at the same time. Cooperating with the Client we agree the transfer price policy, including creating of a contractual framework setting general rules of cooperation between entities affiliated in domestic and international capital groups. If necessary, we collect and provide data concerning comparable transactions concluded according to market terms, we represent our Clients in the process of obtaining of a price pre-agreement. Most often after systematising of the records and creation of respective procedures Clients are able to document further transactions themselves making the result of their work subject to our review.