Transfer Pricing Report - Hungary

Take Control of Transfer Pricing Hungary for Tax Clarity & Total Tax Compliance.

Hungary’s Transfer Pricing regulations, embedded in Act LXXXI of 1996 (Corporate Income Tax Act) and Decree No. 32/2017 (X. 18.), require related-party transactions to comply with the arm’s-length principle.
Taxpayers must maintain detailed Transfer Pricing documentation consistent with OECD BEPS Action 13 and file an annual Transfer Pricing report alongside their corporate income tax return with the Hungarian Tax Authority (NAV).

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Why Trust Us

Our Expertise in Hungary Transfer Pricing Benchmarking & Compliance

01

NAV-Compliant Documentation

We prepare Local and Master Files according to Decree No. 32/2017 (X. 18.), reflecting OECD BEPS Action 13 documentation standards and ensuring regulatory alignment.
02

Benchmarking in Transfer Pricing

Our benchmarking studies use Hungarian, CEE, and EU comparables to determine arm’s-length prices for goods, services, royalties, loans, and cost-sharing agreements.
03

Audit & Risk Defense

We provide audit representation and risk management support during NAV Transfer Pricing reviews, defending economic substance and arm’s-length pricing.
04

OECD-Aligned Methodology

Our documentation fully aligns with the OECD Transfer Pricing Guidelines, ensuring consistency across cross-border operations and global tax compliance.

Achieve Complete Transfer Pricing Compliance in Hungary

At Transfer Pricing Report, we prepare robust, transparent, and audit-ready documentation that withstands regulatory scrutiny and supports defensible pricing policies.

Functional, Asset, and Risk (FAR) analysis
Comparable search and economic analysis
Arm’s-length method selection based on OECD criteria
Preparation of Local and Master Files compliant with Decree No. 232-2011
Hungary Transfer Pricing TP Study

5000+

Transfer Pricing Documentation

Business-Centric TP Development
Risk-Based TP Documentation
Jurisdiction-Specific TP Compliance
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Hungary Transfer Pricing
About Us

Our Commitment: Accuracy, Compliance & Global Confidence

We deliver high-quality Transfer Pricing documentation that ensures compliance with NAV requirements while maintaining global consistency.

Strategic Compliance

Our strategic compliance services include Local and Master File preparation, benchmarking reports, audit defense, and annual TP reporting — all compliant with Act LXXXI of 1996 and Decree No. 32/2017.

Financial Strategy

On-Time Documentation Filing
100%
Client Satisfaction Rate
97%
Audit Defence Success Rate
95%
How It Works

A Simple Process for Transfer Pricing Documentation & Benchmarking

01

Identify Related-Party Transactions

Review intercompany transactions under Act LXXXI of 1996.
02

Perform Benchmarking Analysis

Validate arm’s-length pricing using regional market comparables.
03

Prepare and Submit Documentation

Maintain and submit Local/Master Files and annual TP reports to NAV.
Our Team Experts

Experienced Transfer Pricing Advisors at Your Service

faq

Answers to Your Transfer Pricing Concerns Hungary

Get clarity on the most common questions our clients ask about international transfer pricing services.

Still Have Questions?

Confused About Transfer Pricing? Let's Simplify It Together.
Is Transfer Pricing documentation mandatory in Hungary?

Yes, Hungary requires Transfer Pricing documentation under the Corporate Income Tax Act and TP Decree 32/2017.
A complete Transfer Pricing Study ensures compliance with Hungary’s strict arm’s length framework.

Yes, Hungary fully aligns its TP rules with OECD principles for comparability and method selection.
This ensures Transfer Pricing in Hungary meets internationally accepted standards.

Goods, services, financial transactions, royalties, and IP dealings between related parties must be documented.
A Transfer Pricing Study supports defensible intercompany pricing for businesses in Hungary.

Hungary mandates a Local File, Master File, and an annual TP data reporting obligation within the corporate tax return.
Accurate Transfer Pricing documentation ensures full compliance in Hungary.

Benchmarking compares Hungarian related-party transactions with independent EU and regional comparables.
This ensures Transfer Pricing outcomes in Hungary are aligned with arm’s length pricing.

Hungary imposes significant fines—up to HUF 5 million per documentation—for missing or weak TP files.
Robust Transfer Pricing documentation helps reduce audit and penalty risk in Hungary.

Annual updates are required, especially given Hungary’s detailed TP data reporting rules.
Regular updates ensure accurate and compliant Transfer Pricing positions in Hungary.

Hungary Transfer Pricing – Free 30-Min Consultation

Transfer Pricing Report - Hungary
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