Tax office secured additional PLN 50,000 revenue by completing comprehensive tax project with our transfer pricing expertise, delivering complete solution in 10 days.
SaaS IT company avoided tax audit and secured 3-year compliance protection through comprehensive benchmarking analysis and updated transfer pricing documentation.
Multinational manufacturing company avoided massive tax adjustment through strategic transfer pricing restructuring and comprehensive benchmarking defense.
International real estate group optimized global structure through strategic transfer pricing policy implementation, achieving significant tax efficiency gains.
Biotech company secured optimal intellectual property transfer pricing structure, protecting €15M in R&D investments through strategic valuation methodology.
Fast-growing e-commerce platform established comprehensive transfer pricing framework for digital services, ensuring compliance across 12 countries in 60 days.
Our approach is tailored and data-driven. We start by thoroughly understanding your business and transactions. Our legal and economic experts conduct precise analysis and benchmarking, develop customized documentation and strategies, and focus on practical solutions that ensure compliance and provide defensible positions.
The timeline for a transfer pricing project depends on the complexity of your business, the nature and number of intercompany transactions, and the availability of necessary data. A typical documentation project might take several weeks to a few months. We work efficiently while ensuring thoroughness and precision. In urgent cases we finalize projects in 7 working days.
Investing in transfer pricing documentation provides security in the event of a potential audit from the IRS.
Email/telephone contact, transfer of transaction information, signing of contract, electronic exchange of data, sending of draft documentation, customer comments, finalization of documentation.
Transfer pricing is related to CIT (corporate income tax) and PIT (personal income tax).
If your company or client is part of a multinational group and has intercompany transactions (e.g., sales, services, loans, licenses) above certain thresholds, you are very likely required to prepare transfer pricing documentation (like a Local File and Master File) in the jurisdictions where your group operates. Specific requirements vary by country.
Benchmarket operates worldwide.
Failing to comply with transfer pricing regulations or having inadequate documentation can lead to significant risks. These include tax adjustments by authorities, substantial penalties and interest, double taxation on the same income in different countries, costly tax audits, and reputational damage.
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