Transfer Pricing Controversy & Audit Defence

Strategic TP Audit Protection for Your Global Pricing Arrangements.

Shield your business from regulatory scrutiny with expert-led transfer pricing audit defence, APA negotiations, and controversy resolution services.

Shielding you from transfer pricing controversies

4.98

A+ Rating

Leading transfer pricing firm
About Us

Your Global Transfer Pricing Defence Experts

We specialize in representing multinational companies during transfer pricing controversies, tax audits, and cross-border disputes. Our advisors bring deep expertise in APA negotiations, documentation defence, and regulatory response. With strategic insights and robust documentation, we help businesses manage risk, avoid penalties, and protect their pricing structures from challenges by tax authorities worldwide.

Smart Audit Defence

From tax office audit assistance to APA process guidance, we handle every stage of your defence with clarity and confidence.

Defence Efficiency

Transfer Pricing Risk Mitigation
88%
Tax Audit Representation Success
98%
Strategic Pricing Defence
95%

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Skilled and Professional Advisors

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Transfer Pricing Documentation

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Years of Combined Experience

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Clients Happy in the Long Term

Controversy and Audits
Why Controversy & Audit Preparedness Matters

Protect Your Reputation, Finances & Operations

As tax authorities increase their focus on transfer pricing disputes, the risk of audits, interest penalties, and cross-border transaction challenges continues to grow. Without strong transfer pricing documentation defence, companies may struggle to justify their pricing models, especially in complex intercompany transactions. Being prepared means more than just reacting-it means having the right strategy, documents, and representation in place to face scrutiny head-on and win.

How We Can Assist

Strategic Defence & Resolution for Complex Transfer Pricing Disputes

We provide end-to-end support for transfer pricing disputes, from audit defence and documentation to tax authority negotiations, APAs, and risk mitigation strategies. Our experts help you navigate controversy with confidence and achieve compliant, favorable outcomes.

Strategic TP Audit Protection for Your Global Pricing

Transfer Pricing Audit Defence & Controversy Management

We defend intercompany pricing models with accurate analysis and strategic support—before, during, and after tax audits, minimizing exposure and penalties.

Advanced Pricing Arrangements (APAs) & APA Negotiations

Secure long-term certainty with binding Advance Pricing Agreements, minimizing future transfer pricing disputes through strategic APA planning and negotiation.

Additional Transfer Pricing Analysis & Risk Mitigation

Identify risk-prone intercompany transactions, correct weaknesses, and build proactive pricing strategies to ensure multi-jurisdictional compliance and defence.

Transfer Pricing Documentation Defence

Present OECD-compliant transfer pricing documentation to support your transactions, reinforce audit positions, and demonstrate transparency to tax authorities.

Responding to Tax Audits & Tax Authority Dispute Negotiations

Get expert help responding to tax audits and negotiating with authorities. We manage complex cases and ensure accurate, timely responses across jurisdictions.
Our Team Experts

Experienced Transfer Pricing Advisors at Your Service

our pricing

Clear, Competitive Packages Tailored for Your Transfer Pricing Needs

Basic Transfer Pricing Benchmarking

$2,500 (one-time)
Coverage:
Benchmarking analysis for a single intercompany transaction.
Deliverables:
Industry-specific benchmarking study
Arm’s length pricing support
OECD-compliant benchmarking documentation
Perfect for businesses that only need standalone benchmarking without full documentation.

Standard Transfer Pricing Study

$3,500 (one-time)
Coverage:
Comprehensive transfer pricing study for one transaction type.
Deliverables:
Functional and economic analysis
Selection of the most appropriate transfer pricing method
Benchmarking analysis
Documentation (Master File & Local File) in line with OECD and CRA guidelines
Designed for businesses requiring a complete transfer pricing report for CRA compliance.

Premium Transfer Pricing Study

$4,500 (one-time)
Coverage:
Financial transaction benchmarking or two types of transactions.
Deliverables:
Benchmarking for intercompany financial transactions (e.g., loans, guarantees)
Full documentation package (Master File & Local File)
Strategic pricing insights and documentation for high-risk or high-value transactions
Ideal for businesses with complex structures or cross-border financial arrangements.
faq

Answers to Your Transfer Pricing Concerns

Get clarity on the most common questions our clients ask about international transfer pricing services.

Under Audit or Facing a Pricing Dispute? We’ve Got You Covered.

Transfer pricing controversy refers to disputes with tax authorities over the pricing of intercompany transactions. These controversies can arise during audits when tax authorities challenge the pricing models of multinational companies, often resulting in adjustments, penalties, or reputational risks. Proper transfer pricing documentation and audit defence are key to managing such issues.

We offer expert audit defence services, including strategic planning, OECD-compliant documentation, and effective negotiation with tax authorities. Our team assists in navigating tax office audits, providing the necessary support and documentation to ensure your transfer pricing arrangements hold up under scrutiny.

Yes, we help businesses secure Advance Pricing Agreements (APAs). These binding agreements with tax authorities provide long-term certainty on transfer pricing methodologies and help reduce future disputes. We guide you through the entire process, from planning to negotiation and post-filing monitoring.

Yes, our comprehensive transfer pricing audit defence strategies help mitigate penalties by ensuring compliance and presenting well-documented evidence to tax authorities. We aim to reduce the risk of financial penalties by proactively addressing potential issues and ensuring transparency in your pricing arrangements.

If your transfer pricing documentation is weak or insufficient, we work to strengthen it by gathering necessary supporting data, conducting economic analysis, and aligning your documentation with OECD guidelines. Our goal is to ensure that your documentation is robust enough to withstand audits and disputes.

Yes, we have extensive experience in managing multi-jurisdictional transfer pricing disputes. Our team is equipped to handle complex cross-border issues and navigate the varying tax regulations across different countries, ensuring compliance and minimizing risks.