• Transfer Pricing

Transfer Pricing

Multinational tax issues are quite complex and may cause companies significant expenses. BDO tax team works to develop transfer pricing policies. We offer a distinct approach in which our transfer pricing resources are integrated with other international and local services. We will assist you with developing innovative approaches in connection with transfer pricing of complex international controlling operations.

Tax Efficient Value Chain Management

Businesses frequently look to change their business model to drive customer and shareholder value. Whether setting up in new markets, introducing central procurement, moving production to lower cost countries, relocating senior management or integrating acquisitions, we can help manage resulting transfer pricing risks and the group’s tax position in a sustainable way.

Transfer Pricing Documentation

Businesses with cross border related party transactions must be able to provide transfer pricing documentation to tax authorities that demonstrates and supports the arm’s length nature of relevant cross border transactions. BDO has the global transfer pricing expertise to assist you to develop documentation that complies with local requirements.

Our transfer pricing service offering includes:

  • Preparation of transfer pricing documentation proving the convergence of the transaction with the „arm’s length” principles
  • Assistance with the receiving of advance pricing agreements
  • Assistance during the tax dispute process

Experienced Global Team

BDO is among the largest global professional firms and has more than 400 transfer pricing professionals worldwide. This places BDO in a position to provide transfer pricing support to our clients wherever their business takes them.

Our global team engages in OECD and tax authority consultation processes and sits on numerous industry and practitioner bodies that feed into the development of key areas of transfer pricing. This puts us at the forefront of transfer pricing policy and technical developments and means we are well placed to advise clients on current and emerging transfer pricing issues. Our global team frequently works together to address key issues associated with updates to OECD Transfer Pricing Guidelines that could have a critical impact on our clients’ transfer pricing positions.