Transfer Pricing

Modern opportunities for global growth have presented companies with new advantages—as well as new exposures and risks. Multinational businesses face substantial challenges in managing the numerous and fluctuating compliance requirements imposed by the various countries in which they operate.

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Modern opportunities for global growth have presented companies with new advantages—as well as new exposures and risks. Multinational businesses face substantial challenges in managing the numerous and fluctuating compliance requirements imposed by the various countries in which they operate.

Transfer pricing rules and regulations are often complex and burdensome. Examinations are expensive, contentious, disruptive and clearly on the rise in many jurisdictions. The guidelines set forth by the OECD-BEPS project have created standards that change the landscape for related-party transactions.

Issues like country-by-country reporting, functions, risks and intangibles are now analyzed under a new framework. BlumShapiro’s tax professionals can provide a transfer pricing study, documentation on related-party transactions and competent authority relief assistance, including strategic planning for a specific result among treaty partners.

BlumShapiro’ international tax team has the resources and in-depth experience to respond to our clients’ specific cross-border tax requirements. Our team includes experienced public and private sector strategic planning specialists, as well as professionals with extensive backgrounds negotiating with the Internal Revenue Service and foreign tax authorities. Also, as an independent U.S. member of Baker Tilly International, our clients have ready access to coordinated, responsive and efficient global tax solutions.

Our Transfer Pricing Services Include:

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Transfer Pricing Insights