Many multinational organisations have implemented policies and methodologies for transfer pricing that have not yet been audited by the tax authorities. As jurisdictions increase their scrutiny of transfer pricing, this trend will require that companies defend their transfer pricing strategies in the context of a transfer pricing examination. Resolving transfer pricing disputes can be difficult because of the factual nature surrounding the transactions and the significant domestic and cross-border tax implications.
The PricewaterhouseCoopers advantage
Our transfer pricing team can help companies resolve their transfer pricing disputes and minimise their transfer pricing exposure in future periods.
We have a multidisciplinary team of specialists, comprising professionals in accounting, economics, finance, law and tax.
We have a strong international network of professionals which means we can coordinate transfer pricing professionals in jurisdictions worldwide, to provide effective representation for our multinational clients through all phases of controversy resolution.
We can also offer advice on the most effective strategy to pursue, and provide tax advice, technical economics and support in any forum, including examination, administrative appeals,
advance pricing agreements or litigation.