Our goal is to minimise tax risk and work out individual, effective solutions for our Clients. Based on a thorough analysis of the entire company, our packages of services are tailored to the needs of each Client and to the nature of the Client’s business activity. We combine the knowledge of tax advisers with practical skills of lawyers and financial advisers. We specialize in advising in non-standard transactions, which are usually related to capital transactions and also in transfer pricing advisory. 


We provide services to over 100 Clients from many industry sectors, from real estate, through manufacturing, FMCG, to aviation, or power sector.

To date, we have prepared several thousand tax documentations for our Clients and advised them in several dozens tax controls related to transfer pricing (also in the 7-day mode).


Transfer pricing:

  • transfer pricing risk audit
  • preparing tax documents
  • implementation of transfer pricing policy
  • developing benchmarking studies
  • developing corporate services billing models
  • training in transfer pricing
  • crisis emergency in the case of audits
  • IT tools to support the preparation and management of tax documentations (read more)


Current tax advice:

  • current tax advice by way of phone consultations or notes sent by e-mail
  • preparing written opinions and tax memoranda
  • preparing applications for individual interpretations of the tax law
  • training for financial and accounting staff of the Client

Tax audit or tax due diligence:

  • verification of the accuracy of tax returns in the areas and periods indicated by the Client

Tax and judicial proceedings:

  • preparing strategies for tax proceedings or before tax proceedings are initiated
  • monitoring and verification of the activities of tax authorities made under fiscal control
  • preparing appeals to higher court authorities, complaints to provincial administration courts, and cassation complaints to the Supreme Administrative Court
  • representing Clients before tax authorities, provincial administrative courts and before the Supreme Administrative Court

Tax optimisation:

  • optimisation of the tax burden on current business operations
  • optimisation of taxes on capital transactions with the use of both domestic and international tax structures
  • tax optimisation of mergers, acquisitions and other reorganisation processes (contributions in kind, transformations)