![]() the price of goods transferred or services rendered). When unrelated companies carry out transactions with each other, market forces normally determine the terms of the commercial and financial relationships (e.g. Its objective is to avoid the erosion of the tax base or the transfer of profits to low tax jurisdictions. The Arm’s Length Principle was agreed upon by all OECD member countries and adopted as an objective guideline for use by multinational companies and tax administrations in international taxation. This principle states that the price agreed in a transaction between two related parties must be the same as the price agreed in a comparable transaction between two unrelated parties. Our team consists of experienced tax specialists and transfer pricing experts with country and sector specific tax and industry knowhow, accountants and economists, which ensures that we can provide, develop and implement customised transfer pricing solutions that fit with our clients’ commercial and tax strategies.The basis of transfer pricing is the Arm’s Length Principle, as it is known internationally. We also offer database access, including Bloomberg and RoyaltyStat, as well as the automatic transmission of country by country reports (CbCR) and data exchange through our Signals tool. ![]() With Transfer Pricing Genie, we offer a digital transfer pricing documentation solution that is a more efficient approach to increase transfer pricing processes. Transfer of functions, valuation of transfer packages, exit taxation. ![]()
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