TRANSFER PRICING

At Abbud Hnos y Cía, we provide specialized advisory services in transfer pricing, ensuring compliance with tax regulations and proper documentation of related-party transactions.


Mexico, as a member of the Organisation for Economic Co-operation and Development (OECD), adopted in 1995 the provisions on transfer pricing, establishing regulations based on the arm’s length principle, which are grounded in the Income Tax Law (LISR) and the OECD Guidelines.


Our team of specialists, with over 50 years of experience, offers a technical and strategic approach to help our national and international clients comply with current tax regulations and optimize their tax burden.

TRANSFER PRICING

At Abbud Hnos y Cía, we provide specialized advisory services in transfer pricing, ensuring compliance with tax regulations and proper documentation of related-party transactions.


Mexico, as a member of the Organisation for Economic Co-operation and Development (OECD), adopted in 1995 the provisions on transfer pricing, establishing regulations based on the arm’s length principle, which are grounded in the Income Tax Law (LISR) and the OECD Guidelines.


Our team of specialists, with over 50 years of experience, offers a technical and strategic approach to help our national and international clients comply with current tax regulations and optimize their tax burden.

TRANSFER PRICING

At Abbud Hnos y Cía, we provide specialized advisory services in transfer pricing, ensuring compliance with tax regulations and proper documentation of related-party transactions.


Mexico, as a member of the Organisation for Economic Co-operation and Development (OECD), adopted in 1995 the provisions on transfer pricing, establishing regulations based on the arm’s length principle, which are grounded in the Income Tax Law (LISR) and the OECD Guidelines.


Our team of specialists, with over 50 years of experience, offers a technical and strategic approach to help our national and international clients comply with current tax regulations and optimize their tax burden.

 

TRANSFER PRICING SERVICES

Evaluation and support to ensure that transactions with related parties comply with the arm’s length principle and have adequate documentation for potential tax audits.


Tax compliance advisory


Preparation of supporting documentation that proves that transactions between related parties comply with the applicable tax and regulatory provisions.


Transfer pricing studies


Preparation and management of consultations with tax authorities in accordance with Article 34-A of the Federal Tax Code, to pre-establish transfer prices applicable to future transactions.


Advance Pricing Agreements (APAs)

 

TRANSFER PRICING SERVICES

Evaluation and support to ensure that transactions with related parties comply with the arm’s length principle and have adequate documentation for potential tax audits.


Tax compliance advisory


Preparation of supporting documentation that proves that transactions between related parties comply with the applicable tax and regulatory provisions.


Transfer pricing studies


Preparation and management of consultations with tax authorities in accordance with Article 34-A of the Federal Tax Code, to pre-establish transfer prices applicable to future transactions.


Advance Pricing Agreements (APAs)

 

TRANSFER PRICING SERVICES

Evaluation and support to ensure that transactions with related parties comply with the arm’s length principle and have adequate documentation for potential tax audits.


Tax compliance advisory


Preparation of supporting documentation that proves that transactions between related parties comply with the applicable tax and regulatory provisions.


Transfer pricing studies


Preparation and management of consultations with tax authorities in accordance with Article 34-A of the Federal Tax Code, to pre-establish transfer prices applicable to future transactions.


Advance Pricing Agreements (APAs)

Identification and analysis of market value-generating activities, as well as determination of the market value of companies, shares, and intangible assets, in accordance with Articles 179 and 180 of the Mexican Income Tax Law (LISR).


Business models and asset valuation

Evaluation of related-party transactions resulting from restructurings, ensuring their business rationality and compliance with transfer pricing regulations.


Corporate restructurings

Advisory on the implementation of strategies aligned with BEPS rules, including the preparation and filing of related-party informative returns pursuant to Article 76-A of the LISR.


BEPS compliance

Guidance on the correct integration of data in tax platforms such as DIM, DISIF Annexes, Tax Opinion, statement on Relevant Transactions, and Local, Master, and Country-by-Country reports.


Filing of informative returns

At Abbud Hnos y Cía, we offer a comprehensive approach to transfer pricing, ensuring transparency, compliance, and tax optimization for our clients.

 

Identification and analysis of market value-generating activities, as well as determination of the market value of companies, shares, and intangible assets, in accordance with Articles 179 and 180 of the Mexican Income Tax Law (LISR).


Business models and asset valuation

Evaluation of related-party transactions resulting from restructurings, ensuring their business rationality and compliance with transfer pricing regulations.


Corporate restructurings

Advisory on the implementation of strategies aligned with BEPS rules, including the preparation and filing of related-party informative returns pursuant to Article 76-A of the LISR.


BEPS compliance

Guidance on the correct integration of data in tax platforms such as DIM, DISIF Annexes, Tax Opinion, statement on Relevant Transactions, and Local, Master, and Country-by-Country reports.


Filing of informative returns

At Abbud Hnos y Cía, we offer a comprehensive approach to transfer pricing, ensuring transparency, compliance, and tax optimization for our clients.

 
 

Identification and analysis of market value-generating activities, as well as determination of the market value of companies, shares, and intangible assets, in accordance with Articles 179 and 180 of the Mexican Income Tax Law (LISR).


Business models and asset valuation

Evaluation of related-party transactions resulting from restructurings, ensuring their business rationality and compliance with transfer pricing regulations.


Corporate restructurings

Advisory on the implementation of strategies aligned with BEPS rules, including the preparation and filing of related-party informative returns pursuant to Article 76-A of the LISR.


BEPS compliance

Guidance on the correct integration of data in tax platforms such as DIM, DISIF Annexes, Tax Opinion, statement on Relevant Transactions, and Local, Master, and Country-by-Country reports.


Filing of informative returns

At Abbud Hnos y Cía, we offer a comprehensive approach to transfer pricing, ensuring transparency, compliance, and tax optimization for our clients.

TEAM

LEADERS IN TRANSFER PRICING AND TAX COMPLIANCE


Our team of specialists in transfer pricing and public accountants is highly qualified to ensure compliance with international tax obligations and the correct determination of value in transactions between related parties.


We provide a comprehensive approach in the preparation of transfer pricing studies, ensuring that your company complies with the provisions of Mexican and international legislation, and minimizes risks in tax audits.


Contact us and meet our specialists in transfer pricing.

TEAM

LEADERS IN TRANSFER PRICING AND TAX COMPLIANCE


Our team of specialists in transfer pricing and public accountants is highly qualified to ensure compliance with international tax obligations and the correct determination of value in transactions between related parties.


We provide a comprehensive approach in the preparation of transfer pricing studies, ensuring that your company complies with the provisions of Mexican and international legislation, and minimizes risks in tax audits.


Contact us and meet our specialists in transfer pricing.

Carlos Seade Abbud

Associate

Kamal Abbud Neme

Partner

Arianne Abbud Zacarias

Associate

Carlos Seade Abbud

Associate

Kamal Abbud Neme

Partner

Arianne Abbud Zacarias

Associate

Carlos Seade Abbud

Associate

Kamal Abbud Neme

Partner

Arianne Abbud Zacarias

Associate


CONTACT

TRANSFER PRICING

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CONTACT

TRANSFER PRICING

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CONTACT

TRANSFER PRICING

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