We have extensive experience in the preparation of the transfer pricing analyses and tax documentation required further to Article 9(a) of the Corporate Income Tax Act. The Polish law requires that the taxpayer maintained tax documentation including functional analyses, a description of the strategy and the pricing methodology adopted in related party transactions. Our services may be limited to review of the tax documentation prepared by the client to assure that it meets the required standards, or preparation of the relevant documentation. Many of the analyses and documentations prepared by us were verified by the tax authorities with positive results.