With a significant occurrence of border transactions, transfer pricing has become one of the most important issues not only for company’s management, but also for national tax authorities. Transfer pricing is a strategic tools to transfer goods and services between related companies located in different countries. The Organization for Economic Co-operation and Development (OECD) has developed transfer pricing guidelines for multinational companies and national tax authorities.
In Indonesia, the Minister of Finance Indonesia (Kementerian Keuangan), is committed to implementing the OECD guidelines for Transfer Pricing issues. In according to Minister of Finance Regulation Number 213/PMK.03/2016, every affiliated transaction for both local and international, is required to provide Transfer Pricing Documentation (TP Doc).
We assist in preparation of Transfer Pricing Documentation of :
Rusdiono Consulting’s Transfer Pricing Team meet and work together frequently to common standard key areas in the arena of International Taxation.