
We analyze all international transactions with associated enterprises.
For companies with international transactions between related parties, transfer pricing compliance is mandatory and complex. It ensures that transactions are at "arm's length," preventing tax evasion and avoiding significant penalties.
Our transfer pricing services help multinational corporations navigate the complexities of cross-border transactions. We assist in conducting a comprehensive analysis, preparing robust documentation as per the regulations, and filing the mandatory report (Form 3CEB). We also provide expert representation during transfer pricing audits and litigation to defend your pricing policies.
A clear and transparent roadmap for our Transfer Pricing service.
We conduct a detailed analysis and prepare the mandatory TP documentation.
We assist in filing the transfer pricing report (Form 3CEB) with tax authorities.
We represent you during transfer pricing audits and litigation.
01.
Any company that has engaged in international transactions with an associated enterprise (like a parent or subsidiary company) above a certain value needs to comply with these regulations.
02.
It is the price that would be charged for a transaction if it were conducted between two unrelated parties, acting independently. The goal of transfer pricing is to ensure all international transactions with related parties are at this price.
We analyze all international transactions with associated enterprises.
We conduct a benchmarking study to determine the arm's length price.
We prepare the comprehensive transfer pricing documentation (TP Study Report).
We file the mandatory accountant's report in Form 3CEB.
We provide robust defense and representation during transfer pricing audits.