International related party transactions are the main focus for many tax authorities around the world. Such transactions should be set at an arm’s length price to ensure profits are taxed in the correct jurisdiction. An arm’s length price is essentially the price which would be charged to a 3rd party for goods and services and attempts to remove any favourable pricing which might be imposed for a related party.
R.E.M has experience in international transfer pricing rules and can advise on how it affects your company, choosing an appropriate methodology and price, drafting of inter-company agreements and documentation.
The lodgment deadline for 2019 FBT returns for sel
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