Transfer Pricing


Our services in the context of transfer pricing

It is well known that pricing between related companies must be based on the so-called "arm's length principle" from an income tax perspective. If your company in Germany engages in significant cross-border transactions between related entities, you must provide documentation during a tax audit that details the facts, circumstances, and arm's length prices of these cross-border transactions.



We assist you in preparing this documentation, which complies with the latest OECD guidelines in both German and English.

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