Details.
Reviewing intra-group transactions involving goods, services, financing and intellectual property, applying the arm's-length principle, selecting an appropriate method, preparing master file and local file documentation, providing benchmarking support and functional analysis, aligning transfer pricing with the wider international structure, and responding to HMRC transfer pricing enquiries. Suitable for international groups with connected entities trading across borders, UK subsidiaries of overseas parents and businesses that have grown internationally without formal documentation.
