Tax Consulting

Transfer Pricing

According to § 90, 3 AO, there is a legal obligation to ensure that appropriate transfer pricing documentation will be generated. According to this regulation, internationally associated companies are subject to a specific duty of documentation, which exceeds the common increased collaborative duties and burden of proof precautionary duties of § 90, 2 AO in a significant way.

We give you support in generating the required transfer pricing documentation and assist you in providing transparency regarding your cross-border supplies and services relationships.