Transfer Pricing

Transfer Pricing

Transfer pricing – the practice of establishing arm’s length prices for related party cross-border transactions is one
of the many complex tax issues that multinational corporations face. Simply applying the OECD Transfer Pricing
Guidelines mechanically is insufficient for addressing the complexities of this diverse region, where many
jurisdictions are not members of the OECD.

Moreover, the intensification of documentation demands, significant penalties, and the assertive enforcement
approach by Vietnamese tax authorities, coupled with an emphasis on corporations contributing their fair share of
taxes, have created unprecedented scrutiny and challenges for companies operating in Vietnam. Ensuring full
compliance with reporting obligations and establishing a transfer pricing strategy that is well-suited for the
circumstances has never been more crucial.

Leveraging a highly experienced team of transfer pricing specialists, we offer practical solutions to assist
multinationals and Vietnamese conglomerates in effectively handling their transfer pricing compliance
responsibilities, managing associated risks, and capitalizing on opportunities. Our deep expertise encompasses
Vietnam’s tax and transfer pricing regulations, market dynamics, and global best practices.

We help our clients with the following:

  • International Planning
  • Transfer Pricing Audit
  • Master File and Local File Documentation
  • Country-by-Country Reporting
Julien Tran
Julien TranManaging Partner

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We will respond to you as soon as possible.