
International Taxation and Transfer Pricing
International Taxation and Transfer Pricing
We provide expert cross-border tax advice to help businesses navigate complex multi-jurisdictional tax challenges. Our team works closely with clients to identify the most effective tax strategies and operational structures, ensuring they remain both competitive and compliant in today’s global market. We tailor our solutions to address the specific needs of each client, taking into account the intricate regulations of different tax regimes.
We also assist multinational companies in the preparation of comprehensive transfer pricing documentation (TPD) in line with local regulations and OECD guidelines. This includes providing support for advance pricing agreements (APA) to ensure that intercompany transactions are conducted at arm’s length and meet regulatory expectations. Our expertise covers the entire process, from preparing and submitting TPDs to negotiating and concluding APAs with tax authorities.
In cases of transfer pricing disputes, we offer robust planning and management of transfer pricing controversies. Our goal is to minimize risk, protect our clients’ interests, and ensure that transfer pricing arrangements are defensible under scrutiny from tax authorities, both locally and internationally.
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