Transfer Pricing and International Tax Services
Countries all over the world are applying greater scrutiny – and calling for stricter regulations – on transfer pricing practices. Emerging markets, for example, are demonstrating an increased willingness to challenge transactions. Yet even as companies face an increasingly uncertain landscape, the many complexities of transfer pricing provide a variety of opportunities to optimize profits, increase cash flows, and moderate taxes.
Our transfer pricing practice helps companies and their affiliates navigate the unique domestic and international tax consequences related to intercompany pricing issues. Comprised of economists, tax practitioners, and financial analysts, our multidisciplinary team provides a range of planning, compliance, audit defense, and benchmarking services. In all cases, our professionals work to develop transfer pricing policies that are defensible, flexible, and in line with our clients’ overall tax planning strategies.
- Transfer of tangible products
- Development, transfer, or sharing of intellectual property
- Provision of beneficial services
- Extension of loans or financial arrangements involving intercompany funds