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Transfer pricing relates to all aspects of inter-company pricing arrangements between related business entities, often involving transfers of tangible and intangible property. The increase in cross-border trading and the challenge of keeping on top of the differing tax regulations of multiple overlapping tax jurisdictions can make this a complicated and time-consuming task. Hefty penalties for non-compliance with these regulations mean that keeping on top of transfer pricing issues are a must.

PwC's transfer pricing group has been consistently ranked as the leading practice by the International Tax Review. We have expert teams across the world comprising over 600 specialists in economics, accounting, project management and tax law. This combination of experience enables us to develop innovative approaches to transfer pricing issues.

How we can support you
More about this service

Potential issues

  • You need help and guidance with documentation
  • HMRC is investigating your approach to transfer pricing
  • You want to coordinate your worldwide transfer pricing policies
  • You are looking for coordinated transfer planning advice.

How we can support you

  • Ensure maximum tax advantage in respective territories
  • Compliance with documentation requirements
  • Negate/minimise penalties
  • Enhance shareholder value
  • Specialist support in dispute resolution.

More about PwC’s transfer pricing services

  • Tailored consultative approach to defining business requirements and developing appropriate tax strategies
  • For smaller companies, we have a highly efficient process for documenting and justifying transfer pricing
  • To ensure companies comply with corporate tax self assessment, we offer an evaluation service that helps with analysis and documentation
  • Processes for providing comparable third party data to support transfer prices
  • Health checks to identify and analyse exposures, priorities and planning opportunities.

 

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