Transfer Pricing

Transactions between related parties, whether resident in Mexico or abroad, must be analyzed legally under the transfer pricing system under the Income Tax Law.

Our practice includes advising on the scope and effects of these provisions, as well as other “soft law” legal provisions (OECD Transfer Pricing Guidelines), in order to provide certainty with respect to the tax consequences of the transactions analyzed.

Business elements of a strategic and operational nature are considered, as well as the risks, responsibilities and costs involved, which implies that the service may be rendered in conjunction with professionals from other disciplines in order to provide an integral service.

In case of fiscal controversies the professional service that is offered in this matter includes representation during the administrative phases (tax controversy) and the contentious defense.

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