Overview
Related-party transactions sit at the centre of corporate tax scrutiny. We establish and document arm's length pricing, prepare the required files and support you through review or dispute.
What's included
- Transfer pricing policy design and review
- Benchmarking and comparability analysis
- Local file, master file and disclosure form
- Intra-group service and financing arrangements
- Audit defence and dispute resolution support
Who this is for
Multinational groups and any taxable person with material related-party transactions.