About us

At Benchmarket, we provide clients and other tax advisors with reliable transfer pricing benchmarks, as well as Local File and Master File documentation.

With years of experience and a client-focused approach, we empower business and tax advisors with TP essentials.

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Global Trust, Proven Results

Our clients around the world

We work with multinational companies and global tax advisors to deliver complex transfer pricing services.

Our deep expertise in benchmarking cross-border transactions ensures satisfactory outcomes.

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Why Choose Us

Expert guidance, proven results

01
Database access and know-how

We provide benchmarks based on reputable, worldwide data sources for all types of transactions.

We combine proven methodology with at least five professional databases.

02
Transparent process

We ensure an individual approach and transparent communication throughout the process. Deliverables like the Local File, Master File, and benchmarks are always tailored to your specific situation.

03
Proven audit defense

Benefit from our extensive experience with managing complex TP projects and supporting clients during tax audits.

We offer documentation services either on a white-label basis or signed by us. Local File, Master File and benchmarks.

Meet Our Team

Experts dedicated to your Transfer Pricing needs

Michael Olejniczak

Founder and Managing Partner - economist

Greg Plisz

Managing Partner - lawyer, tax advisor

Christian Sycz

Strategy Business Developer

Dorota Agernsap

Transfer Pricing Advisor

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Financial Insights

Expert tips and emerging industry trends

Transfer pricing and a tax loss. When does the domestic exemption apply?

The domestic exemption under the CIT Act allows taxpayers to refrain from preparing transfer pricing documentation if the parties to the transaction did not incur a tax loss in the source of income to which the transaction relates. A loss in another source (e.g. capital gains) does not exclude the exemption. The exemption applies only to documentation obligations – it does not relieve the taxpayer from applying arm’s length prices or from TPR reporting. The key is the correct allocation of the transaction to the relevant source of income and the analysis of the tax result within that source.

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Tightening regulations and shortening deadlines. The new era of transfer pricing documentation

As we approach 2025, multinational corporations are entering a new phase of transfer pricing compliance, characterized by stricter regulations and significantly shorter deadlines. Countries worldwide, led by Germany, are tightening their transfer pricing rules, requiring companies to accelerate documentation processes and enhance compliance efforts.

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Expert advice, industry trends, and practical tips to help you stay ahead

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