The current legal framework of the related operations constantly obliges the taxpayer to value such operations following the methodology established by the OECD as well as the documentation thereof.
At JJL ABOGADOS we possess broad experience in this area, adapting the focus of our work to the needs of our clients, through (i) a prospective approach in direct collaboration with our clients in the design of the transfer pricing policy or Ii) a reactive approach based on the analysis of the transfer pricing policy adopted by the client, focusing on its valuation and on complying with legally established documentation obligations.
We also assist our clients in the negotiation of previous valuation agreements, with the different Tax Administrations involved and in the resolution of disputes regarding transfer pricing, through assistance and legal defense concerning controversial issues before the Administration and before the Courts.