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Transfer Pricing Services

With a significant occurrence of cross border transactions, the importance of transfer pricing rule has captured the tax authority’s attention. In Indonesia, domestic transactions between associate enterprises are subject to transfer pricing rule as well. In order to ensure that the enterprises carry out their related party transactions in accordance to the Indonesian tax regulations and transfer pricing guidelines, the Indonesian tax authority requires transfer pricing documentation for each intercompany transaction.

It is increasingly important for enterprises to pay particular attention in their corporate behavior and how enterprises determine the pricing of their products or services to their associates in accordance with the arm’s length principle.

PB Taxand has years of experiences in handling tax audit, tax objection and litigation including transfer pricing.  As transfer pricing issues get more complex, PB Taxand created a special Transfer Pricing Team which works together with our corporate tax division in handling transfer pricing cases.

PB Taxand’s Transfer Pricing Team is supported by the network of Taxand experts located in nearly 50 countries, as well as global support resources which include transfer pricing databases, trainings and all other resources.



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