Transfer Pricing

Transfer pricing plays a central role in every company that operates across borders. It relates to ongoing intra-group supply relationships, intra-group services and intra-group financial transactions but also extends to reorganizations within the group, such as the relocation of individual business functions.

Transfer pricing therefore entails a considerable tax audit risk, but at the same time, it opens up room for creativity.

We think outside the box to help you effectively counteract risk and take advantage of existing optimization opportunities. Our experts not only take German regulations into account, but also the transfer pricing-related aspects and possibilities in the respective other country. We offer seamless cross-border support in all areas of transfer pricing advice.

This applies in particular to:

  • to support in structuring value chains and transfer pricing, in selecting appropriate transfer pricing systems and formal implementation by preparing/reviewing intercompany agreements and guidelines
  • for the preparation of legally required transfer pricing documentation,
  • for training our clients' employees on transfer pricing
  • as well as for the defense of transfer prices vis-à-vis the tax authorities in the context of tax audits and the avoidance or elimination of double taxation through mutual agreement or advance pricing agreement procedures (MAP or APA).

Want to know more?