Transfer Pricing Services, Strategy and Documentation

If your organization is participating in any cross-border transactions, you should have a transfer pricing strategy in place to eliminate risk of penalty. blum will work with you to develop a custom tailored solution to ensure a successful future for your organization. We invest deeply in understanding our clients, and act as an independent and objective advisor.

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If your organization is participating in any cross-border transactions, you should have a transfer pricing strategy in place to eliminate risk of penalty. blum will work with you to develop a custom tailored solution to ensure a successful future for your organization. We invest deeply in understanding our clients, and act as an independent and objective advisor.

Transfer pricing is a pricing arrangement for a transaction between related legal entities within a multinational enterprise. Intercompany asset transfers may include the transfer of tangible goods, services, intangibles and loans.

Tax authorities around the world have become more assertive in enforcing transfer pricing regulations and initiating harsher penalties and new documentation requirements. In the United States, non-compliance may result in a penalty ranging from 20% to 40% of the underpayment of tax. Globally, countries have initiated country-by-country reporting that may be shared amongst tax authorities.

Assessing transfer pricing challenges from all angles

Our business advisors understand the level of precision and care required for cases that may be reviewed by the tax authorities and courts. Our experts can develop a tax planning strategy that can help minimize your exposure to transfer pricing adjustments and tax penalties.

Transfer Pricing Services

Who We Help

At blum we work with the executives, directors and staff of multinational companies, as well as international tax attorneys, to develop a transfer pricing strategy that avoids non-compliance penalties, costly transfer pricing audits and double-taxation.

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