Transfer pricing is important because it determines how profits are taxed across different countries.
It directly affects:
Without proper transfer pricing, businesses risk:
The arm’s length principle means that transactions between related companies must be priced the same as if they were between independent companies.
In simple terms:
This principle is:
Intercompany transactions are business dealings between related entities within the same multinational group.
Common examples include:
These are also called controlled transactions because they occur within the same corporate group.
1. Sale of goods
Transfer of raw materials, parts, or finished products between related companies.
2. Services
Management, technical, administrative, or R&D services shared within the group.
3. Intellectual property (IP)
4. Intercompany financing
Transfer pricing methods are used to test whether prices follow the arm’s length principle.
According to the OECD BEPS framework, the most common methods include:
Transfer pricing is not just about compliance—it impacts overall business performance.
Key impacts:
Transfer pricing rules are shaped by global standards like the OECD’s BEPS (Base Erosion and Profit Shifting) framework.
These rules require companies to:
As regulations evolve, companies must regularly update their transfer pricing strategies.
Transfer pricing documentation explains and supports how intercompany prices are set.
Typical requirements include:
Proper documentation helps:
Any multinational enterprise (MNE) with cross-border related-party transactions must comply with transfer pricing rules.
This includes businesses that:
WTP Advisors helps companies understand and manage transfer pricing in a simple, practical way.
They support businesses with:
Their approach focuses on:
Explore more about Transfer Pricing services, what transfer pricing is, and international tax solutions to support your global operations.