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The focus of the study is based to identify the functions, risks and transactional analysis that companies incure to comply the regulations of transfer pricing, also achieve with the informative sworn statement. Within the development of the service, will be identify, if necessary and through external comparators, to companies that incure similar functions and risks to be able to perform comparability on the basis of the OECD Guidelines for price studies.

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Our service includes supporting to the companies to make and present the Anual Transfer Pricing statement, according to the legislation of each country. The taxpayer, who during the analysis period, celebrate transactions with related parties and / or are obliged to apply transfer pricing rules, have to inform the tax administration of such transactions in compliance with the “arm’s lenght principle”.

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Actually, is highly recommendable that when it is planned to carry out transactions with related parties, it should be planned whether such operations will comply with the market value principle (Arms Length). With this we can prevent any future contingency and above all, be able to analyze any scenario that allows fiscal savings.

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The Tax Administration may ignore or not share the criterion for determining the prices of operations that have been carried out with related parties or tax havens, so support for this eventuality with experts in the field of different professions (lawyers, economists, accountants , administrators) ensures an adequate defense of the position of the company.

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