Over 60% of world trade is done between associated companies. Use of tax benefits of countries of registration of group companies may increase efficiency of the entire group. On the other hand, tax authorities develop measures to limit transfer of “profit centers” to other jurisdictions. It makes the issue of pricing between associated companies (permanent establishments) very important.
Improper or not sufficiently well planned conditions for transactions between associated companies may result in unforeseen taxation, fines and loss of time for disputes with tax authorities.
We will be happy to assist you in setting justified prices for internal group transactions and to prepare all the necessary documentation for tax authorities.
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