![]() With the global reach of our services, PricewaterhouseCoopers can coordinate with transfer pricing professionals in jurisdictions worldwide to provide effective representation for our multi-national clients through all phases of controversy resolution. Our team is a multi-disciplinary group and has experts in the field of law, economics, finance, tax, and accounting. PricewaterhouseCoopers has dispute resolution services that can help companies resolve their local or regional transfer pricing disputes and minimise their transfer pricing exposure in future periods. Resolving transfer pricing disputes can be difficult because of the factual nature surrounding the transactions and the significant domestic and cross border tax implications. Traditionally, the Inland Revenue Department in Hong Kong has not focused on this area, but in line with Revenue authorities in other jurisdictions in the region, more scrutiny is being paid to intra-group transfer prices.Īs jurisdictions increase their scrutiny of transfer pricing, this trend will require that companies defend their transfer pricing strategies in the context of a transfer pricing examination. Many multi-national corporations have already implemented policies and methodologies for transfer pricing that have not yet been audited by the tax authorities. providing appropriate documentation for your restructured business processes listed above.establishing potential synergies within your supply chain and operating structure.A regional principal structure with profits centralised in a tax advantaged jurisdiction realigning structures in a more tax advantaged way eg.creating a new and transformed income and cash flow stream.optimising overall regional and global tax rates.We have a strategy to help you achieve your goals and align your tax profile with your restructured value chain. PwC's Transfer Pricing Team can assist you in creating appropriate tax and legal structures to optimise your new operating configuration. In order to improve net earnings and cash flow in the evolving global economy, companies can reduce costs and minimise risk by restructuring supply chains and international and domestic operating structures as they globalise. Through our expertise, we have created a set of transfer pricing strategies to assist you in achieving your global business objectives. Stricter penalties, new documentation requirements, increased information exchange, improved training and specialisation are some of the tools used by tax authorities in this global "revenue race". Global integration and new business practices challenge multinational corporations to find innovative transfer pricing solutions. Intercompany transactions across borders are growing rapidly and are becoming much more complex. In Malaysia, increased compliance obligations mean companies need to keep abreast with Transfer Pricing developments.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. Compliance with the differing requirements of multiple overlapping tax jurisdictions is a complicated and time-consuming task.Īt the same time, tax authorities both local and regional, are imposing stricter penalties, mandatory documentation requirements, increased information exchange and carrying out intensive audits. Such inter-company transactions, domestically and across borders, are growing rapidly and are becoming much more complex. These can include transfers of intellectual property, tangible goods, services, and loans or other financing transactions. Transfer pricing (TP) is a term used to describe inter-company pricing arrangements relating to transactions between related entities.
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