As the ITO is targeting more and more companies for transfer pricing adjustments, managing your related-party transactions becomes increasingly critical.
We will work as a team with you to ensure that your organization’s international financial position is effectively managed with more focus on Indonesian transfer pricing risks.
How PwC can help you
We offer advice and assistance in the following ways:
- Developing a transfer pricing defence strategy. We may suggest preparing transfer pricing documentation which covers at least a description of your business, a detailed functional analysis, and benchmarking.
- Providing supports in tax audits, objections, or appeals. Transfer pricing disputes can only be effectively dealt with by transfer pricing specialists. We have specialists with a thorough knowledge of Indonesian tax regulations and practice.
- Recommending rearrangement of your related - party transactions or deals. Your related-party transactions or deals may look unreasonable in light of the Indonesian tax regulations and practice. We may suggest rearrangements to mitigate transfer pricing risks.