The service consists of advising and accompanying the client in administrative processes under which tax authorities, in the exercise of their audit powers, require the taxpayer to demonstrate compliance with specific transfer pricing regulations.
Additionally, there are mechanisms (MAPs and APAs) under which taxpayers can request tax authorities’ intervention or confirmation of criteria regarding their intercompany transactions and the results obtained therein.
Because during a review, the authority questions intercompany operations with very specific technical criteria, and the responses must be supported by the economic analysis that backs the agreed prices. Having a transfer pricing specialist, along with legal defense, allows explaining and documenting the taxpayer’s position within the deadlines set by the procedure.