Transfer Pricing

transfer pricing

CONTROVERSY – PLANNING – COMPLIANCE – BENCHMARKING

Within international taxation landscape, transfer pricing forms a specific hot topic, subject to its own codes and standards. The OECD standards, triggering most of the major tax reforms over the last few years, have highlighted the strategic importance of this area for both companies and tax authorities. In this context, CARA Société d’Avocats assists you at each and every step of your transfer pricing policy:

  • Strategic definition of your intercompany policies
  • Restructuring of flows between group members
  • Audit and review of the tax risks associated with your transfer prices
  • Anticipation and integration of the effects of the COVID crisis in your transfer pricing policies
  • Preparation of transfer pricing documentation and returns
  • Assistance in the event of a tax audit
  • Representation before the administrative authorities and tax organizations
  • Performing economic analyses and benchmarks for all types of flows
  • Assistance and representation in case of litigation
  • Support and follow-up of international procedures to eliminate double taxation (Mutual Agreement Procedures)
  • Activation of diplomatic procedures to secure your transfer pricing policies between countries (Advance Pricing Agreements)

CARA Société d’Avocats can handle issues involving most countries in the world and relies on its wide network of experts abroad.

 

Transfer pricing

Transfer price

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