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Transfer Pricing

The Income Tax Law establishes that the entities belonging or not to the same group which comply with the assumptions of entailment established by Law and which carry out operations falling within their scope, are required to submit annually transfer pricing documentation, in line with the action 13 of the BEPS plan.

We have developed a low-cost methodology, which allows you to identify the possible obligations of your company in relation to the Transfer Pricing Regime, as well as a range of complementary services that will allow you not only to comply with the regulations, but also to get a valuable tool in order to asses and optimize your operations thereby obtaining tax efficiency and generating value for your company.

Services offered:

  • Preparation and review of transfer pricing documentation.
  • Transfer pricing planning and policy determination.
  • Determination of optimal fees between related parties.
  • Analysis and planning of intra-group operations and shared services platforms.
  • Assistance in controversy process.
  • Assistance in legal proceedings.
  • Anticipate transfer pricing agreements.
  • Analysis of intangible transactions between related parties.
  • Efficient supply chain management.
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