Transfer Pricing Report - Denmark
Take Control of Transfer Pricing Denmark for Tax Clarity & Total Tax Compliance.
Denmark’s Transfer Pricing legislation, governed by the Danish Tax Assessment Act (Ligningsloven, Section 2) and Executive Order No. 1297/2021, requires all related-party transactions to comply with the arm’s-length principle.
Taxpayers must maintain detailed Transfer Pricing documentation and submit it to the Danish Tax Agency (Skattestyrelsen) within strict timelines, ensuring alignment with OECD BEPS Action 13 standards.
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Taxpayers must prepare and maintain Local and Master Files under Executive Order No. 1297/2021 and submit them upon request by Skattestyrelsen.
Yes. Denmark’s framework is directly aligned with the OECD BEPS Action 13 documentation model and global Transfer Pricing principles.
Benchmarking compares intercompany transaction prices with independent market data to confirm compliance with the arm’s-length principle.
Documentation must be prepared annually and submitted within 60 days of a tax authority’s request.
Non-compliance may result in fines up to DKK 250,000 per company, with additional penalties for repeated offenses or insufficient documentation.
We provide Transfer Pricing documentation, benchmarking, and audit defense services, ensuring compliance with Danish tax law and OECD standards.
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