transzferárnyilvántartás
Transzferárnyilvántartás, often translated as transfer pricing documentation, refers to the records and analyses that multinational enterprises (MNEs) must maintain to demonstrate that their intercompany transactions are conducted at arm's length. This means that the prices charged between related entities within an MNE group should be the same as if those transactions were conducted between independent parties. Tax authorities require this documentation to ensure that profits are not artificially shifted to lower-tax jurisdictions, thereby eroding the tax base of higher-tax countries.
The core principle of transzferárnyilvántartás is to justify the pricing of goods, services, intangibles, and financing
The preparation of comprehensive transzferárnyilvántartás is crucial for MNEs to mitigate the risk of transfer pricing