Multinational enterprises have been major actors of the global economy for a long time. One of the main advantages of international business structures is the possibility to minimize or to completely avoid taxation in different jurisdictions. In many cases this fact may become the basis for unfair payment of taxes – not in those jurisdictions, where a multinational enterprise actually gets its profits, but in those, where the tax rate is lower. The solution of this problem lies in the scope of transfer pricing rules, helping tax authorities to control payment of taxes by multinationals. EBS offers a wide variety of services, that may assist business both to assess its transfer pricing risks and weaknesses and to prepare all the necessary documents in order to provide them to the State Fiscal Service of Ukraine for the purpose of execution its controlling function over international transactions.

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EBS Quarterly Review for Q3 2024

EBS Quarterly Review for Q3 2024 Dear Clients and Partners! For your attention, EBS Quarterly Review with changes and explanations of legislation for the 3rd quarter of 2024.

EBS Quarterly Review for Q2 2024

EBS Quarterly Review for Q2 2024 Dear Clients and Partners! For your attention, EBS Quarterly Review with changes and explanations of legislation for the 3rd quarter of 2024.

EBS Quarterly Review for Q1 2024

EBS Quarterly Review for Q1 2024 Dear Clients and Partners! For your attention, EBS Quarterly Review with changes and explanations of legislation for the 1st quarter of 2024.

Reminder for employees or gig specialists at Diia.City!

If your annual income exceeds 240,000 euros, the excess amount is subject to taxation at the individual level.