Transfer Pricing
TaxPrime’s transfer pricing services help companies comply with tax regulations by determining the fair market value of these transactions, ensuring that the transfer prices charged are consistent with the arm’s length principle and mitigate any potential tax implications.
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Indonesia has adopted the OECD BEPS Action 13 regarding Transfer Pricing Documentation and Country-by-Country Reporting in PMK 213/PMK.04/2016 (“MoFR”).
The transaction with related parties is valid as long as it is conducted in accordance with the arm’s length principle. Therefore, planning and maintaining the transactions at arm’s length is indispensable.
If your company is doing business cross-border, are you tired of dealing with the complexities and uncertainty of international tax planning? Or are you tired of sending your team to never-ending tax training worldwide?
An APA is a written agreement made between Director-General of Taxes and the Taxpayer (Unilateral APA); or Director-General of Taxes and the Competent Authority of the Treaty Partner and the taxpayers concerned (Bilateral APA).