We support clients in managing and documenting intercompany transfer pricing policies, under OECD Guidelines and Italian legislation.
We provide full assistance, from documentation to interactions with tax authorities.

Our services include:

  • Transfer pricing analysis and methodology definition based on OECD standards;
  • Benchmark studies using specialized databases (e.g. TP Catalyst);
  • Preparation of Local File and Master File documentation;
  • Attribution of profits to permanent establishments of foreign entities;
  • Assistance during tax audits on transfer pricing matters;
  • Support in drafting intercompany agreements.