The content of this Master's thesis is the presentation of the currently valid regulation in Republic of Slovenia on the determination of the tax base in inter-company transactions. The introductory chapter presents the starting point based on which, the general legislative prescribing of the tax liabilities are made, with regard to the general principles of taxation and the provisions of the Constitution of the Republic of Slovenia. The core part of the thesis follows the introductory chapter, where the corporate income taxation is described in detail, with emphasis being made on the legislative provisions, which govern the determination of the tax base in inter-company transactions entered by a taxpayer. The second part contains the description of the actual state of tax control in practice, with regard to this specific field, carried out by the Financial Authorities of the Republic of Slovenia. The respective description contains also the presentation of two practical cases. Given the presented theoretical, legislative and practical background of the field, the final part of the thesis provides a conclusion, where the comment is made on the currently valid legislation and practice in this field, in relation to the presented core principles of taxation.
|