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Transfer pricing

More and more jurisdictions, with the objective of increasing their jurisdiction’s tax base and to raise revenues through the assessment of penalties, have adopted formal transfer pricing rules. As a result, transfer pricing is now the largest area of international tax controversy and any company with cross-border transactions of $10 million or more is almost certain to be subject to an examination of its transfer pricing practices and documentation.

The Baker Tilly International Tax Services Group possesses a wealth of experience to assist you. From designing tax optimal and cost-effective trade-flow structures and assisting in global transfer pricing strategy execution to documenting global transfer pricing policies and mitigating transfer pricing controversies, Baker Tilly’s tax specialization and focus on industry trends keeps us in touch with critical issues and helps us relate to your challenges and opportunities.

With far less effort before the audit starts (than after) a company can dramatically reduce or eliminate its risk of penalties or double taxation. Baker Tilly’s technical and industry specialists collaborate with you and each other to find the right solutions. We give you honest feedback and informed ideas that help you act decisively.


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We demonstrated our IFRS, corporate advisory, and public company audit and tax experience for a Israeli client that is acquiring and operating convenience stores throughout the US.

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