Tax administrations including those in France, as well as international organisations (European Commission, OECD, UN), consider the pricing of intra-group transactions regardless of their nature, as a high source of tax risk. They therefore place the Increased transparency requirements and the means of controlling these are therefore placed at the top of their priorities.

As a result, the majority of companies carrying out international operations are faced with a number of obligations and must be able to respond in a secure and strategic way to the issues relating to the management of their transfer prices both locally and globally.

Our team of lawyers, economists and tax specialists have extensive experience in assisting large groups and SMEs in all sectors, including textiles, retail, aeronautics, pharmaceuticals, and energy. Thanks to our Grant Thornton International network present in more than 130 countries, we can provide state-of-the-art support and advice at a local level whatever the sector.

Our Transfer pricing

Definition of a strategic and secure transfer pricing structure

Definition of a strategic and secure transfer pricing structure

Assistance in the development of international activities and operational reorganisations – “Business restructuring”

Assistance in the development of international activities and operational reorganisations – “Business restructuring”

Defense of practices and assistance in the context of tax audits and their follow-up from a litigation viewpoint

Defense of practices and assistance in the context of tax audits and their follow-up from a litigation viewpoint

Annual declaration and documentation obligations

Annual declaration and documentation obligations