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Transfer Pricing

Companies with an international parent, separate subsidiary or sister company are at risk of double taxation.   Is your business one of them?

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You know better than anyone the issue that's keeping your CFO up at night, transfer pricing. In a recent study, transfer pricing was ranked as the number one priority of U.S. CFOs.

You're a growing global business managing global operational matters, and you want to avoid profit-draining risks. Every day, Habif, Arogeti & Wynne, LLP works with companies, like yours, on transfer pricing.  The risks associated with running a global company can be avoided.  

Here is HA&W's five-step process that enables you to avoid transfer pricing pitfalls:
  • Step 1: Risk assessment to analyze all current pricing policies on a country-by-country basis
  • Step 2: Review to estimate exposure
  • Step 3: Strategic planning to develop and implement pricing strategies that achieve overall tax objectives
  • Step 4: Documentation of pricing methodology for all material intercompany transactions.
  • Step 5: Support and assistance through transfer pricing controversies.

Contact us to enable your global success.

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