Permit management activities of loading and unloading sites in the light of BiReg
The subject of today's Newsletter may concern our customers who use third country carriers for the transport of their products or who transport products to or from third countries, because the Hungarian loading and unloading sites are subject to control obligations with regard to CEMT and bilateral permits. From 1st July 2021, loading and unloading sites will also have to use the BiReg system for their control and permit management activities.
We would like to inform you, that due to a maintenance the Solar system can not be used from 05.06.2021. (Saturday) 20:00 to 07.06.2021. (Monday) 06:00.
SETTLEMENT OF NEGATIVE EQUITY
The deadline for publishing annual reports via the OBR system is almost upon us. The data presented in the OBR system will provide information to the company courts on companies with insufficient equity capital on the basis of which they can initiate proceedings against them. In order to prevent this, companies should settle any equity problems they may have. In this newsletter, we describe the options for resolving negative equity.
AUDIT EXPERIENCE IN CONNECTION WITH EXAMINING THE ARM’S LENGTH PRICE
In our newsletter last week, we drew attention to the importance of transfer pricing documentation and the effects of the COVID-19 epidemic. Now, we present the audit experience related to the examination of arm’s length prices. Transfer price documentation is being examined more and more seriously by Hungarian and foreign tax authorities. Particularly important areas are loss-making adjustments, the indicators, and the analysis of financing transactions is also becoming increasingly important.
THE IMPORTANCE OF TRANSFER PRICING DOCUMENTATION AND THE IMPACT OF THE COVID19 ON DOCUMENTATION
With today's newsletter, we draw attention to the importance of transfer pricing documentation. Companies which are bigger than small company may have to prepare this documentation. The examination of transfer prices for intra-group transactions also affects taxpayers who are not required to prepare transfer price documentation, as the arm’s length principle must be applied in all cases. In the documentation for 2020, taxpayers should pay attention to the impact of the COVID-19 on the profit.