06.2010 - International Tax Review awarded PricewaterhouseCoopers as the Baltic Transfer Pricing Firm of the Year 2010. More...
International Transfer Pricing 2009 - This publication demonstrates that transfer pricing is a matter that is of fundamental importance to multinationals.
20.05.2009 - PricewaterhouseCoopers' Transfer Pricing network was named as 'European transfer pricing firm of the year’ and winners of the award for ‘Best use of the internet’at the annual International Tax Review European Tax Awards 2009 event. We would like to thank our clients, cooperation partners and colleagues, and we appreciate how highly regarded we are across the continent for our skills and expertise in this specialist area.
The primary objective of transfer pricing (‘TP’) rules is to ensure that the price applied to a transaction between two related parties (two companies or a company and an individual) matches the arm’s length price, i.e. a fair market price that would be applied to a similar transaction between two unrelated parties in similar circumstances. The TP rules enable the revenue authorities to ensure that:
In recent years, the Latvian revenue authorities have increased their competence and resources available to identify any TP discrepancies during a tax audit. This prompts taxpayers to think about TP policy and documentation to prove that their transfer prices are calculated by statutory methods and conform to market prices.
PricewaterhouseCoopers has been advising its clients on TP matters for several years, including the development of corporate TP policy and documentation according to Latvian and international statutory requirements, with the result that we have accumulated both knowledge and practical experience in these matters.
Last updated: 26.07.2010
« BackVita Sakne
vita.sakne@lv.pwc.com
Ilze Berga
ilze.berga@lv.pwc.com
Tel. +371 67094400
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