Mayer Brown - Transfer Pricing

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As a thriving multinational enterprise, a smart, fully integrated transfer pricing strategy is essential to your business. To properly deal with intercompany revenue and expense allocations and avoid costly audit disputes and penalties, you need an efficient and coherent multi-country transfer pricing policy that will set prices, document the methods used to establish them, and, if necessary, defend prices on audit in multiple taxing jurisdictions.

Mayer Brown’s transfer pricing lawyers are known for employing innovative techniques in all of these areas, as well as offering experience in negotiating advance pricing agreements and providing guidance on a worldwide basis. Mayer Brown can also assist in developing a strategy for integrating your transfer pricing policy with the other aspects of your international tax planning.

Practice at a Glance

The Mayer Brown transfer pricing practice is a full-service practice, with experience and ability in each of the following areas:

  • Transfer pricing planning on a worldwide scale

  • Coordinating transfer pricing with other tax planning initiatives, including customs and VAT valuation issues and merger/acquisition strategies

  • Implementing transfer pricing by drafting intercompany sale agreements and related documents

  • Supporting transfer prices using methods and creating studies appropriate to each country in which you have operations

  • Creating and maintaining appropriate documentation in each country

  • Negotiating bilateral and multilateral advance pricing agreements

  • Proactive and innovative tax audit support

  • Where necessary, renowned and aggressive litigation

 
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Contact:
Astrid Pieron (Europe)
Joel V. Williamson (Americas)
Julie Zhang (Asia)