They looked as if they had complete confidence in their conclusions but then just changed their minds:
the State Fiscal Service of Ukraine insists that there is no need to make quarterly 30 % adjustments in transactions with companies registered in «low tax» jurisdictions and companies with legal forms included into the special list adopted by CMU
Kind regards,
SIMILAR POSTS
Better late than never: Legislators have finally decided to improve the rules on liability for correction of TP Reporting
1376
The Cabinet of Ministers of Ukraine has updated the list of low-tax jurisdictions
2207
The Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports has entered into force for Ukraine: Implications for participants of MNE groups in Ukraine
878
Changes in the characteristics of non-resident counterparties for recognising transactions as controlled or making a 30% adjustment for corporate profit tax purposes
2137
Ukrainian Court Denies Characterization As Stewardship Expenses
951
Comparables Selection Was Correct After All, Ukrainian Court Says
514
Comparables Analysis Insufficient; Ukrainian Court Remands Case
1200
“Massive” requests regarding application of the 30% adjustment on corporate income tax. What is wrong and what to do?
2863
Ukraine: The War is not an excuse to ignore Transfer Pricing Compliance
1191
Finally! Ukraine has joined Multilateral Competent Authority Agreement on the Exchange of Country-by-Country Reports
1899
