The use of transfer pricing tax strategies has recently attracted a high level of international attention, due in part to the rapid rise of multinational trade, the opening of several significant developing economies and transfer pricing’s increased impact on corporate income taxation. As multinational corporations evolve into true global enterprises compliance with the differing requirements of multiple overlapping tax jurisdictions has become a complicated and expensive task.
With tax authorities’ ever increasing scrutiny of transfer pricing activity worldwide, we can assist you in the development of tax-efficient structures that increase compliance with legal requirements, evaluating your transfer pricing exposures for FIN 48 purposes, etc.
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