The setup of transfer prices for goods and services between associated companies is of particular importance to our international clients. The structuring of intercompany transactions, the choice of a suitable transfer pricing method and the fixing of an adequate transfer price offers tax opportunities but also involves taxs risks. The unrecognized or ill-considered relocation of operational functions can lead to serious tax consequences. As a result transfer prices and the relocation of functions between internationally structured enterprises are a common focus of tax audits.
Our specialists, who have many years of professional experience in international tax law, will assist you in setting up transfer prices. They will provide help in the relocation of functions in accordance with accepted tax methods, the drafting of necessary contracts and the corresponding transfer pricing documentation required for this purpose.
In addition, through our active membership in HLB International and numerous personal contacts, we have almost global access to experienced foreign tax experts. Through them we also ensure acceptance of your transfer prices in the relevant foreign country.