Transfer Pricing Services | KPMG | KE

Transfer Pricing Services

Transfer Pricing Services

Companies operating across borders are the engines of global commerce.

Companies operating across borders are the engines of global commerce.

However, operating across multiple jurisdictions with different fiscal requirements places a burden on multinationals as they seek the most efficient locations for their investments. Transfer pricing is the traditional avenue to ensure that each entity pays the requisite tax in the jurisdictions it operates.

In the recent past, there have been concerns that traditional transfer pricing documentation requirements do not provide revenue authorities with adequate information to assess cross border operations resulting in the OECD’s Base Erosion and Profit Shifting (BEPS) action plan. It is now imperative for multinationals to present globally consistent arguments supporting their transfer pricing decisions, substantiated by thorough, authoritative analyses that reflects local rules governing their transactions.

Added to the increased call for greater transparency and morality in business decision making, multinationals are left facing more complexity than ever before.

 

How clients benefit

We help clients to develop and implement economically supportable transfer pricing policies, document the policies and outcomes, and respond to any questions raised by the tax authorities.

With KPMG’s global network providing access to transfer pricing professionals around the world, our Transfer Pricing Services practice is well-equipped to provide the local experience and global context that multinationals need to thrive in today’s environment by:

  • minimizing controversy
  • avoiding double taxation
  • helping to obtain favorable outcomes when controversies arise
  • aligning tax goals with business objectives 
  • minimizing corporate resources needed to manage transfer pricing.
     

We use a technology-enabled, risk-based approach,to help companies manage risk and plan for the future.

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