TP Planning, Documentation and assistance in compliances
Multinational organizations are expanding their volume of related party transactions which will enable them to improve their supply chains. This step has increased the tax authority collaborations internationally which comes with opportunities and risks.
To fully understand the exposure of transfer pricing adjustments, we assist in minimizing penalties and help implementing reporting standards.
Transfer Pricing Policy
We help to plan global transfer pricing strategy and optimize the results by allocating the assets, functions and risk in the specific jurisdiction.
Profit margins should be determined through which proposed scenario for utilizing data from the proprietor data base could be determined.
Valuation of intangibles
We help in valuing intangibles of the related parties.
Help to comply with treasury regulations to reduce the chances of transfer pricing adjustment to avoid potential assessment of penalties.
We represent our clients in tribunals, courts during transfer pricing examination, negotiation of advanced pricing agreements, coordination and submission of application with the competent authorities to reduce the double taxation risk.