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If a company’s results are found to be substantially different to other non-related companies in the same industry with similar operations, the tax authorities can adjust the company’s taxable income to bring it into line with the comparable ‘arm’s length’ results. As well as satisfying the internationally accepted ‘arm’s-length-principle’, global businesses must document their cross-border transactions with related parties in line with the domestic tax rules in countries where they operate.

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Is your company eligible for transfer pricing?

transfer pricing

How KPMD helps with transfer pricing

It’s challenging for companies to know whether they will satisfy the comparable arm’s length requirement test when they need information about competitors who are not required to publically lodge financial details. Accru has access to sophisticated databases of reliable financial information covering thousands of companies across different industries and regions to support our clients in this area.
Our approach to transfer pricing can help to identify more cost-effective arrangements for your international transactions and use real commercial drivers in making pricing decisions.

We have many Transfer Pricing structuring & strategies

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our professional services Include:

It’s challenging for companies to know whether they will satisfy the comparable arm’s length requirement test when they need information about competitors who are not required to publicly lodge financial details.

International Dealings Schedule (IDS) and disclosures

Designing, implementing and evaluating transfer pricing structures, methods and policies based on third-party databases

Tax planning from a transfer pricing point of view at regional, national and international level

Support in arbitration proceedings and in mutual agreement procedures (MAPs).