Transfer Pricing

Arm's length analysis.
Easy compliance.

Let RDIG help you avoid double taxation and steep penalties.

R&D transfer pricing compliance – international flags symbolizing RDIG’s service helping businesses achieve arm’s length analysis, avoid double taxation, and meet global standards

Our Process

MNEs engaging in cross-border intercompany transactions must be able to document and support transfer pricing policy. RDIG provides full support for your companies' transfer processing compliance.

Transfer pricing process – illustration of a connected world map symbolizing RDIG’s three-step service: expert analysis, benchmark studies, and documentation with ongoing support for compliance
1

Expert Analysis

RDIG assesses the functions, assets, and risks in all related-party dealings.

2

Benchmark studies

Applying comparable data and market analysis, we establish arm’s-length pricing for all goods, services, intangibles, and financing arrangements.

3

Documentation & support

We prepare your compliance reports to satisfy local and OECD requirements, and provide ongoing support in case of reviews or disputes.

No matter the size of your business, compiling a thorough and accurate overview of R&D expenses requires specialized expertise.

That’s where we come in. RDIG’s team specializes in conducting comprehensive studies to identify and document all qualifying activities and expenses, ensuring our clients can maximize their credit while maintaining a robust defense in the rare event of an IRS or state audit.

Expenditures That Qualify
Wages
Supplies
Contract Research
Cloud Computing

What is Transfer Pricing?

Transfer pricing models are applied by national governments to any exchanges of value between related entities within a multinational enterprise (MNE).

  • Intercompany sales of products or raw materials
  • Loans & financing agreements
  • Intellectual Property Licensing
  • Shared services such as administration and R&D

The Purpose

The purpose of transfer pricing is to ensure that inter-company transactions are conducted at arm’s-length (i.e. priced similarly to how they would have been had they had occurred between independent parties under comparable circumstances). These exchanges are scrutinized because they can affect how profits are allocated across jurisdictions, and therefore how much tax is paid in each. Proper transfer pricing policies and documentation are required for these exchanges of value to demonstrate compliance and avoid adjustments, double taxation, and costly penalties.

Frequently Asked Questions

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725 S. Figueroa Street, Suite 2250 Los Angeles, CA 90017

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