Today’s highly dynamic and unpredictable corporate environment presents economic groups and multinational organizations with significant challenges in planning and documenting their intercompany pricing policies.
In this sense, tax authorities around the world have established increasingly strict Transfer Pricing regulations to avoid double taxation effects and for corporate groups to generate fair taxable bases in the country where the profit originates because the capital flow tactics and strategies of multinational organizations are becoming more sophisticated and aggressive.
In this context, the audits related to Transfer Pricing are becoming more and more rigorous, especially in a cross-border trade situation, which has expanded exponentially, requiring multi-Latin economic groups and multinational companies to document their transactions with Related Parties to comply with the “Arm’s Length principle”.
Faced with the growing need of organizations to document, plan, determine, and execute their Transfer Pricing, TPC Group was founded as a global Firm specialized in Transfer Pricing.
We have companies incorporated in most of the countries of North America, Central America, South America, and Spain, as well as local and international multidisciplinary specialists.
For more than 16 years, TPC Group has been supporting its clients’ success in complying with the Transfer Pricing regulations and standards imposed in each jurisdiction.
We have a deep fiscal and legal knowledge in Transfer Pricing and International Taxation, which added to our international presence, allows us to provide first-class solutions anywhere in the world and according to the needs of each company and/or global economic group.
Carlos Vargas Alencastre