Representation & Dispute Resolution

The third pillar of our support is defence and may include defining the risk management strategy, supporting local transfer pricing audits, and concluding APAs and MAPs.

Regardless of how rigorous and well-designed the transfer pricing system of a multinational may be, from time to time there will be scrutiny in the form of investigations or audits from tax authorities. This trend is increasing in many jurisdictions as pressure increases on national budgets due to the continuing economic crisis. As part of a good risk mitigation strategy, many multinationals consider entering into an Advance Pricing Agreement (APA) to provide certainty in transfer pricing matters for a defined future period.

Pyramid showing Transfer Pricing Assessments and litigations