Undertaking benchmarking studies to arrive at arm's length pricing for the proposed transaction/ arranegment
1. Review of Financial Statements, Related Party Schedule and other schedules. 2. Review of Transfer Pricing Policy, if any. 3. Understanding the transaction (s) - basis of pricing, nature of service. 4. Dissecting the functions performed, risks undertaken, asset employed by both the parties to the transaction. 5. Funding mechanism to the transaction. 6. Analysis of any similar transaction in the past or in the same group globally. 7. Interview and discussions with different level of management of the entity and the group.
1. Audited and unaudited financial statements with related party schedules 2. Organisation structure and relationship matrix 3. Key suppliers/ service providers 4. Nature of business 5. Past litigation history in transfer pricing in the entity and also in the group 6. Transfer pricing policy or other similar document, by what ever name called 7. Tax residency certificate of the foreign entity 8. Any reporting made under transfer pricing laws for the transaction 9. Function, asset and risk analysis of the transactions 10. Interview and discussions with different level of management of the entity and the group