Transfer Pricing
As tax authorities increasingly focus on value creation, economic substance and related-party transactions, transfer pricing has become a critical area of risk for multinational businesses.
We assist businesses in developing defensible transfer pricing structures aligned with international standards and local regulations.
What we do
- Transfer pricing documentation preparation.
- Benchmarking studies and economic analysis.
- Transfer pricing risk assessments.
- Functional and comparability analysis.
- Review of intercompany transactions.
- Review of intercompany agreements.
- Intra-group services advisory.
- Transfer pricing policy development.
- Advance Pricing Agreement (APA) support.
- Transfer pricing audit defense and representation.
- Transfer pricing dispute resolution.
- Country-by-country reporting support
Outcome
- Reduced transfer pricing risks and exposures.
- Defensible transfer pricing positions.
- Reduced likelihood of double taxation.
- Improved compliance with local and international regulations.
- Increased certainty on cross-border transactions.
- Enhanced investor and stakeholder confidence