Transfer prices are the charges made when a company supplies goods, services or finance to another company to which it is related. It is an internationally accepted principle that transactions between related parties (associated enterprises) should be based upon the same terms as between unrelated parties i.e. should be at Arm’s Length.
FINMART provides advisory on international tax consequences, transfer pricing issues, Profit Repatriation, possible tax advantages of cross border trading, leasing, financing, DTA (an agreement between two Governments to provide relief to their residents from Double Taxation and for curbing tax evasion) and researching the tax attributes of potential overseas and domestic markets.
Any private or public company or a sovereign entity entering into any kind of international financial transaction is eligible for the services.
The documents needed vary from case to case. Let FINMART understand your needs and assist you in documents requirement.