Most of the world's cross-border trade now occurs between related entities - bringing with it a host of business concerns. At the same time, governmental and regulatory agencies, under pressure to boost tax revenues, are increasing their scrutiny of transfer pricing practices.
That's why multinational corporations rely on Jefferson Wells Transfer Pricing services to help optimize corporate tax efficiencies, enhance operational performance, reduce legal exposure and risk, and increase cash flow. With an understanding of business and the markets, we use balanced approaches to address your tax, business and regulatory objectives.
You can rely on Jefferson Wells for comprehensive Transfer Pricing Services with no conflict-of-interest concerns. You will work with experienced resources providing services in the core areas of compliance, controversy, and consulting to include strategy and planning, advance pricing agreements, intellectual property, cost sharing arrangements, FIN 48 and SOX documentation and risk management.
We'll work closely with you to help assess your company's current transfer pricing situation, analyze all relevant facts and circumstances and develop an effective, integrated strategy for managing these complex issues. Transfer Pricing for SALT Purposes: The Transfer Pricing Center of Expertise also has a close relationship with the Jefferson Wells State and Local (SALT) Center of Expertise. This partnership enables us to help you evaluate the efficiency and robustness of your domestic transfer pricing policies, as well as to recognize new planning opportunities that transfer pricing may provide. Together, an integrated team of Jefferson Wells Transfer Pricing and SALT experts can provide you with the very highest level of specialized expertise, and give you the confidence that you are making the best possible use of transfer pricing as a SALT planning tool.
Specialists in economics, law, accounting, and tax, must balance economics, local tax law and interpretations with the substance and form of company operations to ensure prices charged for intercompany transactions satisfy tax authorities on all sides of the transactions. Meanwhile, tax authorities battle to stem erosion of their tax bases.
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Because of dynamic global expansion, a majority of the world’s cross-border movement of goods and services now occurs through related entities, bringing with it a multitude of tax and business concerns.
Multinational corporations’ transfer pricing practices are under scrutiny by governments hoping to keep tax revenues from flowing overseas. Companies have been assessed additional taxes and penalties, significantly affecting their tax expense and overall earnings per share. More than ever, companies should assess their current transfer pricing situation.
Victor offers more than 20 years of economics consulting experience in Big Four public accounting and management consulting. He is the Global Director of the Jefferson Wells Transfer Pricing Center of Expertise and leader of transfer pricing and economics consulting services.
Why worry about transfer pricing this year? Some executives might be surprised to learn that in 2009 transfer pricing will be a more powerful tool than ever before.
The Internal Revenue Service has issued new rules taking aim at the transfer pricing arrangements corporations often use to develop new technologies—a move that piles on more concern ...
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