Transfer pricing - optimising intercompany cross-border transactions | Brochure
Whether it concerns a transfer of goods, intangible property, the provision of services or financing arrangements, it all involves transfer pricing.
The ever-increasing magnitude of intercompany transactions is facing more and more local transfer pricing rules. Many (European) countries already have local documentation requirements in place and often penalties are imposed in the absence of proper documentation. Tax authorities are intensifying their attention towards transfer pricing, questioning whether the intercompany transactions are indeed applied in accordance with the arm’s length principle.
The global tendency of stringent transfer pricing rules requires multinationals more than ever to focus on their transfer pricing policy. Managing transfer pricing risks has therefore become one of the key challenges for multinationals.
Besides reducing the uncertainty of transfer pricing risks, transfer pricing can also be considered as a fundamental toolset for international tax planning, creating added value to your business.
Are you keen to understanding what would be the right transfer pricing planning for your organisation? Do you want to reduce your potential transfer pricing risk? Do you need to comply with the transfer pricing documentation requirements? Do you need to respond to the tax authorities queries or would you like to know how to secure your intercompany transactions with the Tax Administration? If this is the case, then Deloitte can assist you.
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