Our team of tax experts delivers services encompassing all tax disciplines, empowering your success amidst the rapid changes of this era. Capable of offering professional guidance on matters encompassing corporate and personal income tax, value-added tax, tax litigation and procedures, transfer pricing, international tax, tax optimization and restructuring, excise tax, customs duties, international trade protocols, as well as other tax compliance and advisory services, our tax professionals provide superior-quality assistance to meet the cilent`s distinct needs throughout the entire tax lifecycle, including planning, provision, compliance, and collaboration with tax authorities.
Corporate and International Tax
Multinational businesses are increasingly affected by tax, legislative, and regulatory developments throughout the world. EB INVEST provides a full range of corporate income tax services. Our professionals provide customized solutions to your specific individual needs and objectives while keeping you informed of relevant changes in the tax and legal landscape. This allows us to maximize your cost-effectiveness and manage your full compliance with changing regulations.
VAT and other Indirect Taxes
Managing value-added tax and other indirect taxes is an inseparable part of daily operations. Any business buying, selling, investing, or employing staff is confronted with indirect taxes. With the complications from the new regulations and capital requirements, it is more critical than ever to manage your indirect taxes with an eye toward optimizing cash flow and reducing risk. By combining our knowledge of local and foreign legislation with the experience of the network, we can offer specific solutions on VAT and other indirect taxes based on your needs and circumstances.
Transfer pricing
Transfer pricing continues to be a crucial international issue for businesses worldwide. Transfer pricing deals with determination of the prices charged in transactions performed between related companies. Transactions between related parties should observe the arm's length principle. As such, prices charged in related party transactions should not differ from prices charged in third party transactions under comparable circumstances (market value).
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