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For internationally-active companies, transfer pricing has been the focus of every tax audit for more than 15 years. Compliance with the arm's length principle for all intra-group transactions and their documentation presents taxpayers with major challenges.


Each taxpayer must ask himself the following questions, among others:

Are my transfer prices compatible with the arm's length principle?
Do I have a transfer pricing documentation that complies with the regulations of the German Fiscal code?
What are the effects of the provisions on transfer of functions as well as on base erosion and profit shifting (BEPS)?
How can I avoid double taxation for the group in case of an income adjustment through a tax audit?


As transfer pricing specialists, we therefore offer you the following consultancy services in the context of transfer pricing: