Documenting and defending the prices you charge yourself.
As groups grow across borders, intercompany flows — goods, services, IP, financing — multiply faster than the documentation that justifies their pricing. The result is exposure to simultaneous audits in multiple jurisdictions, each potentially taxing the same profit.
This programme equips finance leaders to set, document, and defend transfer pricing with discipline. It covers OECD methods, benchmarking, documentation defence, the often-overlooked alignment between customs and tax valuation, and managing audits across borders.
It is delivered by transfer-pricing economists, tax-controversy lawyers, and customs specialists.
The arm's-length principle and the OECD methods, applied to real intercompany flows.
Building defensible benchmarks and master/local-file documentation.
Reconciling customs valuation with transfer pricing — where the two regimes collide.
Managing simultaneous audits and resolving disputes across jurisdictions.
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