The CRA can review and challenge your company’s offshore structures and/or transactions, and you should be prepared for these challenges.
We review your company’s overall transfer pricing exposure and develop options for managing and mitigating transfer pricing risk. This includes a factual review of your material tax audits, controversies and disputes including proposed adjustments and assessments. We also discuss your company’s structure, transactions, operations and audit history, including analyzing all competent authority cases, APAs or other tax rulings and existing documentation.
A single solution to manage the complexities of indirect tax reporting.
PwC partners and thought leaders discuss and provide valuable insights on transfer pricing developments around the world. Our podcasts not only provide you the...
These alerts provide analysis of the impact of major transfer pricing, tax, and related developments within hours of the news breaking, authored by PwC...