Transfer Pricing Report - Angola
Take Control of Transfer Pricing Angola for Tax Clarity & Total Tax Compliance.
Angola’s Transfer Pricing framework, governed by Presidential Decree No. 147/13 of October 1, 2013, requires related-party transactions to be conducted at arm’s length.
Taxpayers engaged in cross-border or domestic related-party transactions must maintain Transfer Pricing documentation that supports compliance with both Angolan tax laws and OECD Transfer Pricing Guidelines.
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Our Expertise in Angola Transfer Pricing Benchmarking & Compliance
Achieve Complete Transfer Pricing Compliance in Angola
At Transfer Pricing Report, we deliver data-driven documentation and benchmarking studies tailored to the specific regulatory framework of Angola.
Our approach combines economic analysis with local expertise to ensure full compliance and defensibility during tax audits.

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Our Commitment: Accuracy, Compliance & Clarity
We ensure every Transfer Pricing report is built with precision, transparency, and defensibility. Our documentation satisfies both Angola’s domestic tax requirements and OECD-aligned international standards.

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Answers to Your Transfer Pricing Concerns Angola
Get clarity on the most common questions our clients ask about international transfer pricing services.

Still Have Questions?
Transfer Pricing in Angola is governed by Presidential Decree No. 147/13, which enforces the arm’s-length principle and OECD-aligned documentation standards.
Yes. Angola’s framework closely aligns with the OECD Transfer Pricing Guidelines, ensuring transparency and comparability in related-party transactions.
Benchmarking compares related-party pricing with independent transactions to confirm arm’s-length compliance.
Taxpayers must have documentation ready by the annual tax filing deadline and present it to the AGT upon request.
Non-compliance may result in tax adjustments, penalties, and administrative fines imposed by the Angolan tax authorities.
We provide end-to-end Transfer Pricing documentation, benchmarking studies, and audit defense, ensuring compliance with Angola’s Decree 147/13 and OECD BEPS Action 13.
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