Send us the details of your business tax issue. Our team will review it and respond with initial guidance on the scope of work and the applicable statutory time limits.
Comprehensive tax services for businesses and their executives: from tax planning and structuring, international tax, and transfer pricing, to responding to Revenue Department audits, retroactive assessments, appeals, and tax litigation. We advise on every tax issue affecting a business and its executives.
Send the details of your matter directly by email; you may attach supporting documents. No form is required.
contact@eksiamlegal.comMonday–Friday 09:00–18:00 · Information from those who contact us is kept confidential.
Our office is located at 300/90 Nawamin Road, Nawamin Subdistrict, Bueng Kum District, Bangkok 10240, Thailand. Appointments may be arranged in advance by telephone at +66 81 654 5922 or via Facebook: Eksiam & Partners Co., Ltd.
As a general rule, an appeal against an assessment must be filed within 30 days from the date the notice is received, under Section 30 of the Revenue Code. Gather the notice of assessment and related documents and seek advice as soon as possible, because once the deadline has passed, the right to dispute the assessment is generally lost.
In general, prepare a description of the business and the transactions concerned, the financial statements or tax returns filed, and any documents or letters from the Revenue Department (if any), so that our team can understand the facts and accurately assess the statutory time limits.
Fees depend on the type of work, the scope of the documents, and the complexity of the issues. Our team will confirm the scope of work and the fees clearly before any work begins.
Yes. Eksiam Tax provides services in both Thai and English for foreign clients and companies within international groups, and handles bilingual work on tax documents and contracts.
It should seek advice on transfer pricing under Section 71 bis of the Revenue Code and on preparing transfer pricing documentation (TP Doc) before the Revenue Department calls for an audit, in order to demonstrate that prices between related parties are consistent with the arm's length principle.
Send us your information. When the facts and documents are clear from the outset, the analysis and the course of action can be determined more effectively.