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Transfer pricing

The term 'transfer pricing' covers the setting, analysis, documentation, and adjustment of charges made between related parties for goods, services, or use of property (including intangible property) via separate accounting for each related party. The transfer prices are supposed to be set at arm's length prices similar to charges between unrelated parties. Following the lead of the United States and the Organization for Economic Co-operation and Development (OECD), tax authorities worldwide have instituted regulations requiring multinational companies (MNCs) to document intercompany transactions and comply with the arm's length standard.

In the field of transfer pricing economics, our areas of focus include: