Multinational enterprises have been major actors of the global economy for a long time. One of the main advantages of international business structures is the possibility to minimize or to completely avoid taxation in different jurisdictions. In many cases this fact may become the basis for unfair payment of taxes – not in those jurisdictions, where a multinational enterprise actually gets its profits, but in those, where the tax rate is lower. The solution of this problem lies in the scope of transfer pricing rules, helping tax authorities to control payment of taxes by multinationals. EBS offers a wide variety of services, that may assist business both to assess its transfer pricing risks and weaknesses and to prepare all the necessary documents in order to provide them to the State Fiscal Service of Ukraine for the purpose of execution its controlling function over international transactions.

Practice experts

Reminder: The Deadline for Filing CbC Reports for 2025 in Ukraine Is 31 December 2026

The Country-by-Country (CbC) report is one of the three tiers of transfer pricing documentation introduced in Ukraine in line with the OECD BEPS standards. It provides tax authorities with information on the allocation of a multinational enterprise (MNE) group’s revenue, …

EBS Joins the UN Global Compact

EBS has joined the UN Global Compact – the world’s largest corporate sustainability initiative

EBS Quarterly Review for Q2 2026

EBS Quarterly Review for Q2 2026 Dear Clients and Partners! For your attention, EBS Quarterly Review with changes and explanations of legislation for the 2nd quarter of 2026.

Entering the Ukrainian Market: Seven Mistakes International Investors Can Avoid

Kateryna Garbuz, Partner, Legal Practice Leader and Olena Levshun, Senior Partner, Financial Management and Accounting Outsourcing Practice Leader For many investors, Ukraine today represents a high-risk, high-potential market. The companies entering early understand both sides of this equation: the complexity …