Whether the pricing policy is in accordance with the independent transaction principle in sales, procurement, services, financing and equity, the transfer and use of the intangible assets between related enterprises, is the key of transfer pricing tax issues. The way to evade the payment of tax by transfer pricing has been object to fight by the world's tax authorities .Since the implementation of China's new enterprise income tax law in 2008, the tax authorities to take unprecedented anti tax avoidance measures, it has brought great challenges to the tax management of multinational enterprises.
We can help the enterprises to solve the problem of transfer pricing by the following ways:
To assist the enterprise to prepare documents which supporting the transfer pricing policy, carrying out appropriate function and risk analysis and benchmarking analysis;
Assisting the enterprise to determine the possible issues questioned by tax authorities and put forward such a strategy to reduce the risk ;
To assist the enterprise to draw up appointing pricing arrangements and cost sharing agreements and negotiate with tax authorities,
To help enterprises in the face of the transfer pricing investigation explain the transfer pricing policy to the tax authorities, to assist in handling disputes.
Assisting in the design and restructuring of its transfer pricing policy in the process of merger and reorganization, and conducting a prudent transfer pricing analysis to light tax burden as much as possible and control the risk of transfer pricing.