Cuatrecasa’s Tax Practice has a transfer pricing group made up of over 50 lawyers, including 10 partners, specialized in this matter, with solid experience in advising on all
types of transactions in this specialty (e.g., business restructuring, distribution agreements, service and management fees, financial transactions and products, royalties
and IP management). We advise clients from many jurisdictions and sectors, including finance, private equity, oil and gas, utilities, infrastructure, automotive, life science,
software and IT, consumer goods, real estate, entertainment, start-ups and family office. The transfer pricing group’s broad knowledge of the subject ensures high value-added
integrated services at the planning stage of related party transactions, through business restructuring designing, negotiating advance pricing arrangements with the Tax
Authorities or through benchmarking of related party transactions; at the stage of the mandatory documentation for related party transactions; and at later stages, advising and
representing during tax audit and in the courts, and assisting in mutual agreement procedures to avoid double taxation.
To provide these services, the lawyers in the transfer pricing group have an in-depth, cutting-edge knowledge of the regulations and case law, as well as of the OECD Transfer
Pricing Guidelines for Multinational Enterprises and Tax Administrations, and of the reports published by the European Union Joint Transfer Pricing Forum.