Our goal is to correctly calculate your tax base and tax liability to minimise the risk of any potential additional tax assessed based on an audit performed by the tax office, while taking into account all legal options available to minimise tax liability.
The preparation of corporate income tax returns mainly consists of the following services.
We recommend discussing individual transactions with us regularly during the tax period in order to minimise any negative tax burden. It will also facilitate the preparation of your income tax return. Not everything can be handled with a positive outcome if you wait until your income tax return is being prepared.
We meet with your employees or management to get an overall idea about the documents your company fills out.
We first review the areas that are crucial for your company’s tax liability before your company closes its accounting.
We verify the areas that are crucial for your company’s tax liability, which means that we randomly check the following: 1. Correct assessment of profit before tax for the purposes of line 10 of the corporate income tax return; 2. Correct elimination of all items unjustifiably decreasing the tax base in compliance with Act no. 586/1992 of Coll., on income tax, as amended (hereinafter as the “ITA”); 3. Correct elimination of all items unjustifiably increasing the tax base in compliance with the ITA; 4. Correct determination of tax adjustments to receivables and a tax-effective write-off of these receivables; 5. Correct determination of items that can be deducted from the tax base in compliance with Section 34 of the ITA; 6. Correct use of tax reliefs in compliance with Section 35 of the ITA.
We calculate your tax liability based on your corporate income.
We prepare a final report – corporate income tax return preparation report – clarifying the most important areas.
Our tax advisor authorised based on the power of attorney puts together and fills out the correct corporate income tax return form.
We prepare recommendations for your company’s management that concern the most controversial issues and their potential solutions for the future.
| 24.9.2024
Floods and donations from the tax perspectiveZuzana Kalincová | 24.10.2023
New case law: Proving indirect costs at the parent companyZuzana Kalincová | 18.10.2023
Consolidation package: changes for legal entities, VAT and in other areasPetr Němec | 26.9.2023
Investment incentives - return to legal certaintyDaniela Riegel | 11.9.2023
Consolidation package passes 2nd readingRoman Burnus | 15.5.2023
Tax authorities will not penalise incorrectly filed tax returns this yearJiří Jakoubek | 12.5.2023
Recovery of state finances as proposed by the government – Who will benefit from it?Daniela Riegel | 3.5.2023
Some real estate tax payers will not receive their payment details for 2023Daniela Riegel | 17.4.2023
Procedure for levy of excess economic benefitPetr Němec | 11.4.2023
Investment incentives – amendment to the government regulationPetr Němec | 27.3.2023
Investment incentives - the end of government arbitrariness?Richard Knobloch | 27.3.2023
Using CCTV footage as evidence to challenge the logbook? Court must re-examine a sensitive caseJitka Pešičková | 22.3.2022
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