Let TPS assist you in designing, filing, and negotiating unilateral, bilateral, or multilateral APAs with tax authorities for your cross-border intragroup transactions, ensuring transfer pricing policy certainty and mitigating future tax risks and disputes.
At TPS we have obtained broad experience while advising our clients throughout their APA negotiation process. We are familiar with the specific procedures that provide legal certainty in the application of the diifferent TP criteria to transactions between related-party entities.
APAs can also be of use to solve with the tax authorities real or potential litigations regarding TP aspects in a voluntary, proactive and cooperative way.
Our professional team at TPS will assist you during the whole process, including:
Let TPS assist you to obtain efficient APAs and protect your related-party transaction from potetial tax risks and controversies that may arise.