The number of tax inspections of intra-group transactions is on the increase. To protect our clients from fines and disputes, our experts prepare comprehensive tax documentation and ensure it is in compliance with tax laws and OECD guidelines. Over recent years, the scope of transfer pricing documentation has been significantly extended and ranges from local files and master files to country by country reporting. We work closely with our clients to establish the market level of prices and margins, either through a comparative analysis based on internal or external comparison or by using commercial databases. To further safeguard our clients against transfer pricing risks, we are able to assist them with advance pricing agreements and guide them rigorously in the course of any proceeding.