Transfer Pricing Advisory

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Our advisory services cover the analysis of transactions carried out between companies and their related parties, as well as the preparation of annual transfer pricing reports required to be submitted to the tax authorities based on the methods applied in such transactions. As transactions between related parties must comply with transfer pricing legislation, regular analysis and control of these transactions are of critical importance.

  • Analysis of transactions conducted between related persons and entities
  • Review of contracts and practical implementations related to such transactions
  • Determination of the transfer pricing methods applied or required to be applied in the transactions
  • Identification of arm’s length (comparable) prices as a result of analytical studies
  • Preparation of the Annual Transfer Pricing Documentation / Report
  • Monitoring developments related to the OECD BEPS framework and assessing the impact of such developments on existing transfer pricing systems on a risk-based approach