Justifying the arm’s length remunerationof intercompany financing

Produce convincing transfer pricing analyses

In light of the French tax authorities' requirements, the quality of the analyses justifying the application of an arm’s length remuneration for intragroup financing is crucial.
We provide you with our expertise and experience to conduct tailor-made transfer pricing analyses.
We ensure that every step of the analysis is meticulously documented, anticipating potential challenges from the French tax authorities.
We assist in the preparation or updating of transfer pricing documentation, the justification of the interest rates applied between related parties (including in LBO financing), transactions, as well as during tax audits or disputes.

Contact

Théophile Trancart - Cohérence

Théophile Trancart