The firm assist its clients in carrying out qualitative and quantitative analyses aimed at identifying the best methodological solutions for the definition of intra-group transfer prices, in line with the regulations and best international practice, together with the preparation of supporting documentation and, if appropriate, the use of domestic or international ruling instruments (APA – Advance Pricing Agreement), in order to prevent future disputes.
The professionals in the firm also assist their clients in the field of tax audits and tax disputes concerning transfer pricing, as well as – alternatively or concurrently with the remedies of domestic law – in the amicable procedures (MAP – Mutual Agreement Procedure) and in arbitration procedures aimed at eliminating double taxation.