Our Impact in Numbers
Delivering precise documentation, analysis, and strategic advice for complex transactions.
Successfully navigating diverse transfer pricing regulations across international markets.
Building trusted, long-term partnerships through expert guidance and proven TP outcomes.
Our Journey of Growth
Our journey from 2017 to today has been driven by innovation, trust, and growth. Each milestone represents our commitment to helping businesses thrive with tailored financial solutions
Founded with a vision to provide cost effective and expert services without the Big Four label
Opened international operations, extending our expertise worldwide
With our first employees on board, we are successfully operating in the Polish market
Increased revenue threefold in the last three years
Reached our first 100+ clients, establishing credibility in the industry.
New board member joins to drive international growth; local presence established in Denmark
Tailored Solutions
We begin by defining the precise scope of your transfer pricing project. This involves requesting key information on your intercompany transactions, related entities, business model, and financial data. We focus on obtaining all necessary details efficiently to lay the groundwork for robust analysis, ensuring we understand your specific needs upfront.

Our experts delve into the specifics of your business operations. We conduct a detailed functional analysis (FAR analysis), identifying and analyzing the functions performed, assets employed, and risks assumed by each related entity involved in the transactions. This forms the crucial basis for selecting the most appropriate transfer pricing method.

Using access to relevant, high-quality external databases for all types of transactions, we perform a rigorous search for comparable uncontrolled transactions or companies. We cover the transactions like: loans, commodities, guarantees, sale of shares, management fees, cost allocations, intra-group licensing, IP transfers, distribution agreements, bonds and financial transactions.

Testimonials

Financial Insights

December 20, 2025
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.

June 9, 2025
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.