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Services
Tax Reporting
Transfer Pricing - IRC Sec. 482
Transfer pricing is a term used to describe all aspects of intercompany pricing arrangements between related business entities, and commonly applies to intercompany transfers of tangible and intangible property. Intercompany transactions across borders are growing rapidly and are becoming much more complex. Any time related parties on different sides of international borders conduct business, the Taxing authorities from both countries will insist on taxing their fair share of the income. Whether a U.S. subsidiary of a foreign Parent or a U.S. parent of a foreign subsidiary, the IRS will scrutinize the cost.
MRV Consulting can assist multinational companies with all aspects of transfer pricing. We provide extensive support for transfer pricing compliance and documentation; effective transfer pricing supply chain planning; assistance with dispute resolution, including audit support, appellate process, competent authority process and litigation support; and support in collaborative agreements on transfer pricing matters with fiscal authorities (e.g., APAs and private rulings). Our transfer pricing professionals have extensive experience in assisting clients in numerous and diverse industries achieve their transfer pricing goals and effectively manage their risks. We can provide your firm with economic, tax, procedural and process advice on managing your tangible, intangible, service and financial intercompany transactions.
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