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In today’s world, an internationally active corporate group will have to deal with the topic of transfer prices sooner or later. Not only do transfer prices have an impact on the tax rate, they also influence the allocation of resources within the chain of value creation. With a thoroughly planned and efficient transfer pricing concept and conclusive documentation of your transfer prices, you not only reduce the risk of double taxation, but can also save cost and time-sapping discussions with tax authorities at home and abroad.
Our experts are happy to support you with your questions surrounding local and foreign transfer prices and documentation obligations. We analyse the existing structures and flow of services within your corporate group, help you to ascertain arm’s length transfer prices and to elaborate transfer pricing documentation according to national and international provisions.
Is there already an existing transfer pricing system in your company that needs to be verified, documented or reworked? Again, you've come to the right place! We will be happy to be the competent partner at your side for this important project. As a member of the Geneva Group International (GCI) – one of the top ten leading alliances of international audit, consulting and law firms – we also have recourse to local specialists all over the world. This makes it possible for us to implement your transfer pricing project in the optimum manner.