Transfer pricing planning

Multinationals face heightened interest in their tax and transfer pricing positions. No longer just of interest to tax authorities, corporate tax positions have moved up the government and public agenda.

In today's increasingly complex tax and transfer pricing environment, businesses are prioritising economic substance, ensuring that factual positions are well-substantiated, documentation is defensible, and the organisation's global tax footprint is effectively managed.

Strategic transfer pricing planning therefore enables organisations to identify value-enhancing opportunities, and to design, implement, and sustain tax-efficient structures that are fully compliant with legal and regulatory standards.

How we have helped?

  • Provided guidance to a US listed domestic group to streamline its European structure.
  • Reviewed and supported numerous domestic and MNCs in reviewing and implementing their royalty and service payment schemes.

Contact us

Jeff Yuan

Jeff Yuan

Head of Tax, PwC China

Tel: +[86] (21) 2323 3495

Paul Tang

Paul Tang

Transfer Pricing Services Leader, PwC China

Tel: +[86] (21) 2323 3756

Kevin Tsoi

Kevin Tsoi

Partner, PwC China

Tel: +[86] (20) 3819 2380

Cecilia Lee

Cecilia Lee

Partner, PwC Hong Kong

Tel: +[852] 2289 5690

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