Transfer pricing

Today’s highly dynamic and unpredictable business environment presents multinational organizations with significant challenges in planning and documenting their intercompany pricing policies. In this sense, the tax authorities around the world have established increasingly stringent regulations on Transfer Pricing, in order to avoid double non-tax effects and so that corporate groups generate fair taxable bases in the country of origin. the benefit, as the capital flow tactics and strategies of multinational organizations are increasingly sophisticated and aggressive. This requires multinational companies to document their operations with related parties for the purpose of complying with the “arm’s length principle”.

HLB Bolivia has a deep tax and legal knowledge on Transfer Pricing and International Taxation, which, added to our international presence, allows us to provide first-rate solutions anywhere in the world and according to the needs of your company.

Preparation of Technical Study of Transfer Pricing

Preparation of supporting documentation for operations carried out between foreign related parties, according to the guidelines established by the Organization for Economic Cooperation and Development (OECD).

Strategic planning

Diagnosis of the taxpayer’s situation regarding Transfer Pricing. Advice in determining transfer pricing policies. Integration and coordination of the documentation of Regional and / or global Transfer Prices.

Preparation and Presentation of the Informative Sworn Declaration of Operations with Related Parties (Form 601)

Advice on filling out annexes, questionnaires and / or informative statements of Transfer Prices, according to the legislation of each country.


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