In international environments, cross-border transactions are increasing in number and complexity and transfer pricing policies need to be in line with business goals. Significant increase in transfer pricing disputes and a global focus on base erosion and profit shifting have turned transfer pricing services into a major tax sector.
Entities which have transactions with related parties (domestic or foreign) are obliged to prepare a Transfer Pricing File of intra-group transactions provided that certain thresholds of turnovers are exceeded annually.
Our Transfer Pricing team includes experienced professionals of tax experts, accountants and economists. They ensure that the intra-group transactions are correctly documented and within the transfer pricing strategies of each company in order for the clients to meet the local and global tax obligations referring to Transfer Pricing.
More specifically, our services include the following:
- Transfer pricing policies development
- Transfer pricing documentation
- Advance pricing agreements
- Cost allocation studies
- Analysis of Intercompany loans
- Value Chain Analysis
- Bench marking Reports
- Tax audit support
- Assisting with competent authority negotiations
- Implementation services.