To be ready and compliant with Croatian law, transfer pricing documentation must be prepared in a timely manner.
If your company has undertaken transactions with related parties during 2020, it has the following compliance obligations:
1. Prepare a transfer pricing study – this study documents whether transactions with related parties were undertaken in accordance with the arm’s length principle. It should be prepared by the time the annual corporate income tax return for 2020 will be due for submission and would be presented to the Croatian Tax Authorities upon request.
2. Prepare and submit a PD-IPO form – this form provides information on the types and values of related party transactions and must be submitted together with the annual corporate income tax return for 2020; and
3. Prepare and submit the Notification on Country-by-Country Report – companies that are part of a multinational group may be required to submit such notification by the deadline for submission of the annual corporate income tax return for 2020.
The Transfer Pricing Team of KPMG Croatia d.o.o. is dedicated to assisting your company with completing all of the above requirements. We would provide you with a specialized service based on an intimate knowledge of the relevant legislation and our extensive experience in working in a broad range of industries and our close working relationship with the Croatian Tax Authorities.
Our team will work with your team to meet all your transfer pricing reporting requirements in a timely and effective manner.
Please contact us to set up a meeting to determine the specific needs of your company:
+385 91 4666 471
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