In 2026, transfer pricing challenges go far beyond updating the TP file. In a context marked by economic pressures, the need for states to protect the tax base, the expansion of information exchange, and the increasingly intensive use of data by tax authorities, companies are being assessed from the perspective of the overall picture conveyed by their reporting.
The new ANAF Order No. 828/2026 is only one piece of this puzzle. Today, tax authorities can correlate information from the transfer pricing file, financial statements, Country-by-Country reporting, and other data sources to identify risk areas and understand a transaction before an audit begins.
During our webinar, “The New Reality in Transfer Pricing: What Is Changing and How to Prepare?”, we will discuss what is changing in Romania, which transactions are attracting the attention of the tax authorities, and, most importantly, how companies can prepare their tax position so that it is coherent, credible, and well substantiated.
More details and registration, here