Transfer Pricing Report - China

Take Control of Transfer Pricing China for Tax Clarity & Total Tax Compliance.

Providing world-class transfer pricing services in China aligned with the country’s evolving LCITA regulations, documentation standards, benchmarking requirements, and audit expectations.
Our China -focused TP advisory ensures your intercompany transactions remain arm’s-length, risk-proof, and compliant with OECD Transfer Pricing Guidelines.

Trusted by Cross-Border Businesses — 95% Project Success in the China

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Why Trust Us

Our Expertise in China Transfer Pricing Benchmarking & Compliance

01

In-Depth Regulatory Knowledge

We help businesses navigate China’s Transfer Pricing framework under the Corporate Income Tax Law and State Taxation Administration (STA) regulations. Our team ensures accurate interpretation of China’s TP compliance, related-party disclosure, and documentation thresholds applicable to a China Transfer Pricing study.
02

Audit-Proof Documentation

We prepare China Transfer Pricing Study documentation, including Local File, Master File, and contemporaneous benchmarking analysis. Our reports align with OECD Transfer Pricing Guidelines while meeting China-specific audit and disclosure expectations.
03

Strategic Transfer Pricing Advisory

We analyze related-party transactions involving China entities and prepare defensible Transfer Pricing studies and benchmarking. Our advisory supports compliant, tax-efficient pricing for manufacturing, distribution, services, and IP-related transactions.
04

Multi-Jurisdictional Coverage

We align your China Transfer Pricing Study with global Transfer Pricing policies across APAC, North America, and Europe. This ensures consistency in documentation, reduced audit risk, and coordinated compliance across jurisdictions.

Achieve Complete Transfer Pricing Compliance in China

China enforces one of Asia’s most comprehensive Transfer Pricing regimes, requiring taxpayers to maintain Local File and Master File documentation and, where applicable, a full Transfer Pricing study.

All cross-border related-party transactions must be supported by robust benchmarking and economic analysis in line with State Taxation Administration (STA) requirements and OECD Transfer Pricing Guidelines.

China Local File & Master File preparation
Comprehensive TP benchmarking
CRIT filing and disclosures
End-to-end audit support
China TP Study

5000+

Transfer Pricing Documentation

Business-Centric TP Development
Risk-Based TP Documentation
Jurisdiction-Specific TP Compliance
trusted by 100+ global brands

China TP Study
About Us

Our Commitment: Precision, Compliance & Global Consistency

We help China-based entities and multinational groups operating in China prepare defensible Transfer Pricing documentation that withstands scrutiny from the State Taxation Administration (STA).

Strategic Compliance

We deliver China Transfer Pricing studies, benchmarking analyses, and economic documentation designed to strengthen governance and reduce tax risk. Our China-focused approach ensures every pricing model reflects actual business substance, complies with local requirements, and remains defensible during audits and inspections.

Financial Strategy

On-Time Documentation Filing
100%
Client Satisfaction Rate
97%
Audit Defence Success Rate
95%
How It Works

A Simple Process for Transfer Pricing Documentation & Benchmarking

01

Risk & Policy Assessment

We evaluate China-specific Transfer Pricing risks, functional and risk profiles, and business operations to determine documentation scope and compliance requirements under State Taxation Administration (STA) regulations.
02

Documentation & Benchmarking

We prepare China Local File and Master File documentation and conduct Transfer Pricing benchmarking using China and APAC comparables, aligned with OECD Transfer Pricing Guidelines and local audit expectations.
03

Ongoing Compliance & Support

We support Related-Party Transaction (RPT) filings, annual updates, and audit responses to ensure continuous compliance with China Transfer Pricing regulations and evolving STA requirements.
Our Team Experts

Experienced Transfer Pricing Advisors at Your Service

faq

Answers to Your Transfer Pricing Concerns China

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

Still Have Questions?

Confused About Transfer Pricing? Let's Simplify It Together.

Yes. China requires eligible taxpayers to prepare Local File, Master File, and Special Issue documentation, along with annual Related-Party Transaction (RPT) disclosures. Contemporaneous documentation must be maintained to mitigate penalties and audit exposure under State Taxation Administration (STA) rules.

Benchmarking in China involves comparing related-party transaction margins or prices with independent comparable companies or transactions, using China or Asia-Pacific data where available. This supports arm’s length pricing in accordance with Chinese TP regulations and OECD Transfer Pricing Guidelines.

Benchmarking is performed through a detailed functional and risk analysis, selection of the most appropriate TP method, and use of reliable comparables. Adjustments may be required to reflect China-specific market conditions and regulatory expectations.

China broadly aligns with the OECD Transfer Pricing Guidelines, but applies its own interpretations and administrative practices. Chinese tax authorities place strong emphasis on value creation, substance, and location-specific advantages.

A China Transfer Pricing study is typically required for cross-border related-party transactions, including goods, services, royalties, financing, and cost-sharing arrangements that meet statutory thresholds or present elevated risk.

Depending on thresholds and transaction types, companies may need to prepare:

  • Local File
  • Master File
  • Special Issue File (e.g., cost sharing, thin capitalization)
  • Annual Related-Party Transaction (RPT) forms

China Transfer Pricing – Free 30-Min Consultation

Transfer Pricing Report - China
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Diejing Road, Haizhu District, Guangzhou, 510320