According to the OECD, the vast majority of international transactions do not take place with third parties, but as intercompany transactions within related parties. Therefore, one of the biggest challenge for multinational enterprises (MNE) is to understand and manage transfer prices and risks attached to it. These challenges not only concern MNE but increasingly also small and medium-sized enterprises (SME).
In particular SME often face unforeseen and unknown tax difficulties and complexity.
Can your company provide transfer pricing documentation to defend invoiced intercompany prices? SME are often unaware of their transfer pricing documentation obligations.
On the situation of SME in Baden-Wuerttemberg, a study has been performed in 2016/2017 on the subject of transfer pricing in cooperation with the Albert-Ludwigs-University Freiburg. If you are interested in the study results, we would be happy to share them with you. Please contact us and we are going to provide these study results to you.
We are focused on international tax law and within this area, we are specialized on transfer pricing. In this field, TPMeder is very experienced and provides support as well as guidance already for many years.
We are convinced that the direct contact between the TPMeder management and our clients is the key to great results. We are focused on an practice-oriented consulting approach and are very solution-oriented. German companies with foreign activities (outbound) as well as foreign companies with activities in Germany (inbound) are supported by us.
As our services are always tailored to your individual needs, we provide you with a peace of mind related to your transfer pricing that you can focus on other important topics which require your attention.
Please contact us that we can discuss your specific situation and a game plan regarding next steps to provide you with the most efficient help.