We are experts in offering our clients integral solutions for the consolidation and expansion of their business.

Transfer Pricing

The approach is based on analysis and studies of transfer pricing conducted by our specialists who provide our clients and Tax Authorities a reliable tool to determine the amounts or ranges where intercompany transactions are to be performed.


  • Elaboration of transfer pricing studies in accordance with the OECD guidelines and applicable federal laws, for transactions with foreign and domestic related parties
  • Advisory in the BEEPS format’s presentation (Master File, Local File, and Country by Country)
  • Adapting to the requirements of national legislation of studies carried out abroad
  • Elaboration of the informative declaration of operations with related parties abroad
  • Advisory on filling out the transfer pricing informative statement
  • Valuation of intangible (brands) and other goods (shares, assets)
  • Processing of Advance Price Agreements (APA)
  • Advisory in the elaboration of agreements between related parties
  • Technical defense of transfer pricing studies carried out by our specialized area, answering the requirements issued by the authority and in general assistance to any information request or documentation made by SAT
  • Consultancy, processing and monitoring of Tax Disputes as well as legal support and defense in audits and reviews by the authority
  • Implementation of national and international Fiscal Strategies
  • Analysis and financial diagnosis that allows us to carry out actions to optimize the economic and financial health of your business





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