We can help you create a dynamic transfer pricing strategy that is technically robust and practical to implement. Such planning involves identifying and analyzing alternative transfer pricing scenarios and related business implications, selecting and recommending the most feasible alternatives and providing economic justification for any changes from the existing transfer pricing policy while reducing implications for other taxes.
Our wide-ranging transfer pricing documentation services are designed to help ease the overall compliance burden on multinationals, help provide cost-effective documentation strategies while also helping to fulfill the diverse local transfer pricing documentation requirements and help mitigate the risks of penalties and costly transfer pricing enquiries.
We can help you prepare Advance Pricing Arrangements or competent authority claims, and advise you before, during and after your dealings with the tax authorities.
Based on the consideration of typical approaches taken by the Korean tax authority when reviewing transfer pricing documents, we provide the best defense on the basis of our understanding of the client’s business situation and related risk factors.