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UHY International tax experts discuss current Transfer Pricing issues

25th January, 2008

Click here to watch video of UHY International tax experts discussing current issues related to transfer pricing

Multinational enterprises are typically engaged in the transfer of goods, intangibles and services with affiliated companies. To determine tax liability in each tax jurisdiction (e.g., U.S. vs. foreign), a defensible, arm's length transfer price has to be determined and applied. Transfer pricing involves the process of determining the appropriate price one related-party charges another.

Because of certain “high profile" court cases and IRS audits involving transfer-pricing issues, multinational enterprises recognize the need for a transfer pricing analysis to support the amounts charged between related parties.
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