The brave new world of transfer pricing after BEPS

Nobody thought that complying with the Base Erosion and Profit Shifting (BEPS) transfer pricing analysis and documentation demands would be easy. Yet, the opening year has proved to make greater demands and has required more attention than many multinational enterprises had anticipated.

So how can clients keep up with the group policy analysis and documentation demands, get on top of the risks and present a clear, consistent and well thought-through ‘tax story’?

Grant Thornton transfer pricing teams have been working with the OECD and many government tax authorities and groups for many years and are pleased to share their experiences in this latest article.

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