Advice on Finnish corporate income tax, VAT and cross-border VAT treatment, and the preparation and filing of the returns that follow from it. Advice is given on the law as it stands, with the provision and the Tax Administration guidance identified.
Within registered activity 69201
Deliverables
What this engagement includes
Written into the scope, so there is no argument later about whether something was in it.
Corporate income tax return (6B) preparation and filing
VAT registration, periodic returns and EU recapitulative statements
Cross-border VAT: place of supply, reverse charge, intra-Community trade
Written opinions on a specific transaction, citing the statute and the Tax Administration guidance relied on
Support during a Tax Administration enquiry or audit of your company
Advance ruling (ennakkoratkaisu) applications to the Tax Administration where the position is genuinely open
The rules this work sits under
Where the obligations come from
Naming the statute is not decoration. It is how you check the advice, and how you tell an opinion from an assertion.
Finnish tax law
Elinkeinotuloverolaki 360/1968, Tuloverolaki 1535/1992 and Arvonlisaverolaki 1501/1993, read together with current Tax Administration guidance.
Anti-avoidance
Section 28 of the Assessment Procedure Act (Laki verotusmenettelysta 1558/1995) allows the Tax Administration to disregard an arrangement made to avoid tax. Advice from Countex Oy is built to survive that section, not to test it.
Boundaries
What this engagement is not
On the page that sells the service, not buried in the terms.
We do not offer schemes to conceal income or assets from the Finnish Tax Administration.
We do not market offshore structures, nominee arrangements or aggressive avoidance schemes.
We do not guarantee a tax outcome, a refund, or an amount of tax saved. No adviser can.
Also available
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