The calculation and documentation of cross-border intercompany transfer prices is a huge challenge for multinational corporations.
Significant tax risks can arise if transfer prices are not at arm’s length or the respective documentation is insufficient. The consequences include corrections of transfer prices, tax adjustments and interest payments, as well as significant fines in some cases.
In the future, tax authorities will increasingly focus on potential profit transfers in the group for tax optimisation purposes using transfer prices (key term "base erosion and profit shifting – BEPS").
"Compliance" with transfer pricing regulations and and the implementation of internal processes for transfer pricing are also coming to the fore for the management of international corporations, as well as for the tax authorities.
Our clients are international companies and groups from various industries and of various sizes: DAX and MDAX groups but also SMEs.
Each company has its own individual requirements and needs. That is why we work closely with our clients. The level of personal trust is of the utmost importance and is the basis of our advice.
Our transfer pricing experts at WTS are happy to support you with the following issues relating to transfer pricing:
Transfer pricing documentation
Our WTS experts assist in the development and implementation of documentation across the group. This is done in compliance with current legal requirements and international standards (for example OECD Transfer Pricing Guidelines). Due to the innovations in the BEPS context, a tripartite documentation approach will now be required: The presentation in a master file (master documentation), in a local file (company-related documentation) and country-by-country reporting.
Three-tiered approach to transfer pricing documentation
OECD
approach
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Master File
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Local File
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CbC Report
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- Comprehensive overview of business operations of MNE
- Description of the organizational structure and the value chain
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- Detailed information about transactions of local entity
- Function and risk analysis
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- Financial information (e.g. revenues, profits and tax) for each country
- Information regarding the functional profile of each entity
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wts TPmanager |
wts CbCRmanager |
wts CbCR-2-XML
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Design and implementation of transfer pricing guidelines
We help our clients to design and implement internal transfer pricing guidelines. We offer individual and efficient solutions for all company-specific particularities. That way a multionational corporation can raise awareness of the issue of transfer pricing across all levels of the company. At the same time this also makes it possible to identify and avoid any risks at an early stage. In the time of growing mobility of personnel and the ongoing digitalization of working processes this becomes more and more important.
Planning and optimising the transfer pricing system
In addition to preparing transfer price documentation reports and guidelines, we also support our clients in the overall planning and optimisation regarding all aspects of their global transfer pricing system. As a result of the BEPS developments it is clear that the calculation of transfer prices and the profit allocation within the group must match the added value contributed by each of the group’s companies. We offer many years of experience and comprehensive specialized expertise in various industries when it comes to performing the necessary economic analyses. We use leeway in terms of design to advise corporate and value chain structures that are optimal from a transfer pricing perspective. Our expertise lies in particular in establishing principal structures, centralising services and redesigning sales models and R&D structures.
Restructuring and reorganising the business model
In the course of a restructuring regarding the organisational or group structure, we support our clients with the analysis and optimisation of the restructuring form a transfer pricing perspective, as well as with the preparation of the necessary documentation. Even for cross-border business restructurings in the context of the regulations regarding the shift of functions and — related to this, and often necessary — the complex valuation of intangible assets, we offer comprehensive advice from our global network of transfer pricing experts.
Analysis and assessment of intangible assets (IP)
Intangible assets are now frequently key value drivers for corporate success and therefore often have a high economic value. They are always the focus of tax audits around the world. It is therefore of vital significance for international companies to plan, implement and consistently document the global development of IP within a multinational group. This may take place, for example, as part of the internal research and development programmes or by analysing matters from a transfer pricing perspective. Besides, the valuation of IP is frequently the starting point for the determination ofg internal arm's length licence fees that apply to the use of IP within a multinational group of companies.
TP Financial & Treasury Services
In recent years, transfer pricing of intra-group financing structures has become the focus of tax administration and jurisdiction.
Due to imprecise and non-binding regulations at the national and international level, this area of transfer pricing bears an increasing potential for uncertainty and risk for taxpayers. We advise our clients comprehensively on the holistic planning and documentation of transfer prices in the field of cross border intra-group financial services in order to effectively reduce the associated risks. In addition, we support our clients in particular by performing quantitative analyses in order to determine arm's length financing conditions, e.g. in the form of specific ratings of group companies, interest rate benchmarks and fee split analyses. Through access to the WTS Global network, international financing structures can also be evaluated multilaterally.
More information about our Financial & Treasury Services: Link
TP Controversy
Tax authorities increasingly focus on transfer pricing. We support our clients both in avoiding disputes and in defending transfer prices in tax audits as well as in any legal disputes and dispute resolution proceedings that may result. In doing so, we draw on our comprehensive expertise in court proceedings as well as in out-of-court measures.
Dispute avoidance
- Planning and conducting Advance Pricing Agreements (APAs)
- Support in coordinated international tax audits (i.a. Joint Audits and simultaneous audits)
- Advice on the International Compliance Assurance Program (ICAP)
Dispute resolution
- Preparation of tax audits, advice on tax audit strategy and comprehensive accompaniment during tax audits
- Preparation and implementation of opposition proceedings and court proceedings
- Preparation and implementation of cross-border mutual agreement procedures (MAP) and arbitration proceedings
We provide timely and expert support in clarifying possible consequences abroad with the foreign transfer pricing experts in our worldwide WTS Global network and initiate the necessary steps in good time. We also make use of the relationships of the foreign transfer pricing experts from the WTS Global network to the local tax authorities.
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Wenn Sie Interesse an unseren Dienstleistungen haben oder uns einen Request for proposal (RfP) übermitteln wollen, kontaktieren Sie uns gerne.
WTS TP AI Benchmarking Tool: Our Solution for Precise and Efficient Benchmarking Analyses
An essential tool for proving the arm’s length of intercompany transactions are benchmarking Studies. By now, the process was characterized by high expenditure of time and money as well as subjective decisions. Using an AI, we are able to improve the quality of benchmark studies through more consistent decision-making and make the benchmarking process more efficient.
The WTS AI Benchmarking Tool was developed from the ground up to provide a precise and efficient platform for identifying and analyzing comparable companies. By leveraging cutting-edge technologies, artificial intelligence, and automation, the entire process is significantly simplified and optimized.
The WTS AI Benchmarking Tool is an innovative solution that utilizes the latest technologies to optimize and simplify the benchmarking process. Here are some of the most significant features our tool offers:
- AI Support: The tool makes the selection of comparable companies more consistent and precise through artificial intelligence. It analyzes large datasets in a short amount of time, providing the most relevant results.
- Web Scraper: Our tool visits and translates every relevant website and takes screenshots to enable comprehensive analysis. This ensures that all necessary information is available at a glance.
- Keyword Filter: With the keyword filter, comparable companies can be excluded based on keywords found in the translated website text. This helps refine the search for comparables and consider only the most relevant companies.
- Efficiency Boost: By implementing artificial intelligence, processes are streamlined, manual interventions are minimized, and efficiency is significantly increased. This saves valuable time and resources.
The extraordinary expertise of our transfer pricing specialists is reflected in numerous publications and lectures at fundamental symposiums and various awards. In 2018 and 2019 WTS Germany was named "Transfer Pricing Firm of the Year" by the well renowned journal International Tax Review.
TP Guide
WTS Global Country TP Guide
DAC 7
Umsetzung und Modernisierung des Steuerverfahrensrechts aus Verrechnungspreissicht
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Transfer Pricing Newsletter
Mit diesem Newsletter informieren wir multinational agierende Konzerne zu länderspezifischen und länderübergreifenden Gesetzeslagen rund um das Thema Verrechnungspreise.