
Tax
Transfer Pricing
"Correct intercompany pricing strategy reduces tax evasion"
– Richard Murphy
-
Valuation of transactions between related parties and intercompany pricing strategy documentation.
-
We advise companies on intercompany pricing strategy matters, ensuring that transactions between related parties adhere to the arm's length principle and comply with the Corporate Income Tax Law, its Regulations, the OECD Guidelines, and the BEPS (Base Erosion and Profit Shifting) framework.
We analyze and document intragroup policies using recognized valuation methods—comparable free price, cost plus, resale price, net transactional margin, and profit sharing—to ensure economic coherence, transparency, and international tax certainty.
-
intercompany pricing strategy inspections .
-
-
We advise companies on transfer pricing matters, ensuring that transactions between related parties comply with the arm's length principle and meet the requirements of the Corporate Income Tax Law, its Regulations, the OECD Guidelines, and the BEPS (Base Erosion and Profit Shifting) framework.
We analyze and document intragroup policies using recognized valuation methods—comparable uncontrolled price, cost plus, resale price, transactional net margin, and profit split—to ensure economic consistency, transparency, and international tax certainty.
-
Intercompany pricing strategy inspections.

