OECD has released Base Erosion and Profit Shifting (BEPS) action plans to facilitate each tax jurisdiction to exert more severe administration on cross border related party transactions. China has localized the BEPS action plans to improve the transfer pricing regulations, and thus foreign invested companies are encountering strict tax supervision in line with international rules.
Most of our transfer pricing service team members come from world renowned accounting firms, Top 500 companies and Chinese foreign-related tax authorities and our team has in-depth knowledge and experience in the international and Chinese tax regulations as well as various industry practices.
We are capable to provide comprehensive transfer pricing services as follows.
▸Related party transaction benchmarking study
▸Transfer pricing policy determination
▸Transfer pricing documentation preparation (TP master file, local file, and special issue file)
▸Advance pricing agreement application
▸Transfer pricing audit assistance
We will review and analyze the functions and risks assumed in view of the business objectives and transaction model to develop the transfer pricing policy, to prepare the transfer pricing documentation and to reach an agreement with the tax authorities. Hence, transfer pricing risks during the business operations could be mitigated.
Send MessagesDiscover More