Transfer pricing is all about determining the nature, treatment and taxability of intra-group transactions across several geographies. The transaction is put to test by the determination of arm’s length price of the transaction as per the prescribed transfer pricing methodologies.
We at Marcs Accountants , have a long-standing experience in the field of international transfer pricing, transactions structuring and transfer pricing compliances. We can demonstrate and present the right mix of global perspective and insights with that of the Indian transfer pricing regulations and the practical approach followed by the Indian transfer pricing authorities. We have helped clientele design suitable transfer pricing policies, execute complex transactions and obtain global tax optimisation through transaction structuring.
Know More About Transfer Pricing Services
Transfer pricing policies of every multinational business play in important role in the taxation of distributable profits across geographies. When a business operates in several countries, it is legally bound to be just and fair for by offering the right share of global profits to tax. After all, every country has a legal right to tax a share of the global profits. This principle has been reiterated across several international treaties and conventions. The recent Base Erosion and Profit Shifting (‘BEPS’) Action Plans issued by the Organisation for Economic Co-operation and Development (‘OECD’) have resulted in global acceptance.
Our service offerings
- Transfer Pricing Advisory and transaction structuring
- Transfer Pricing Risk assessment
- Benchmarking studies
- Transfer pricing studies
- Transfer pricing compliances
- Transfer pricing planning (Safe Harbour and Advanced Pricing Agreements)
- Transfer pricing litigation and representation
- Transfer pricing controversy resolution and appeals