We provide technical advice regarding the planning of operations with related parties and/or tax havens.
The result of this analysis includes the design of transfer prices that best suit under decentralized structures, seeking the effectiveness of the organization, optimizing the valuation of these operations, complying with the principle of full competition and avoiding contingencies with the Tax Administration.
Our purpose is to maximize the results of any organization through the most appropriate transfer pricing methodology.
|Analyse||Analyze the structure and value chain of the business or businesses; as well as the corresponding fiscal, economic and legal framework in which they operate.|
|Design||Design a coherent transfer pricing strategy, which complies with local regulations as well as international guidelines applicable to related party transactions and/or tax havens. Also, that complies with the interests of the different stakeholders – stakelholders (shareholders, suppliers, customers, investors, among others).|
|Implement||Implement transfer pricing policies through adequate education and active participation of stakeholders. Transfer the transfer pricing plan to the organizational environment.|
Advice on Transfer Pricing Audits
Faced with an eventual process of inspection by the Tax Administration, we have the capacity in the market to prevent or exercise in the resolution of disputes in the field of transfer pricing, identifying optimal and effective alternatives.
We have the widest experience accompanying our clients in the attention of the authority’s reviews to satisfactorily solve the controversy.