Transfer pricing – the setting of prices for goods and services sold between entities within a group – has become an important topic for corporates in Europe in recent years. Its importance is expected to rise, given the OECD’s Base Erosion and Profit Shifting (BEPS) action plan and the increased political and economic pressure on transfer pricing matters.

Because transfer pricing increases the risk of adjustments to taxable income and the potential for double taxation, companies need to develop a sound transfer-pricing strategy and related documentation.

Our team can help you manage tax risk by developing transfer pricing solutions in line with their operations and business strategy. We can also help to establish a transfer pricing policy and prepare OECD-compliant documentation to support all activities across subsidiaries and legal entities within a business.

Core practice groups

We are recognised by the market as a leading provider of legal services to Luxembourg investment funds, their promoters and service providers.

We cover these sectors to provide continuity of service and to build stronger relationships over time.

We offer an extensive litigation practice covering a large range of areas such as corporate, commercial and civil litigation.

We assist our clients on all aspects of taxation, including especially the creation of tailor-made investments structures.