Transfer Pricing Advisory Services in Turkey
We safely prepare your transfer pricing reports against legal risks. Intercompany transactions are analyzed, and documentation is completed without any gaps.
Prevent Legal Risks in Related Party Transactions
Goods, services, and financial transactions between companies within the same group are subject to specific rules under legal regulations. When these transactions are not priced according to market conditions, significant tax penalties and hidden profit risks arise.
With this service, we thoroughly analyze all transactions your company has with related parties, developing pricing strategies in compliance with applicable regulations.
We prepare mandatory reports in full compliance with the regulations, and if necessary, we provide defense files and comparable benchmark analyses to get your company audit-ready.
We do not just organize the documents during the process; we also offer consultancy to help you achieve a compliant and sustainable structure.
We simplify complex transactions and support your business in maintaining full regulatory compliance.
Service Scope
- Identification of related parties and preparation of transaction inventories
- Determination of arm’s length prices and appropriate method selection
- Preparation of the annual transfer pricing report
- Ensuring compliance with necessary books and documents
- Defense documentation for tax audits
- Report preparation in both Turkish and English (upon request)
Why Should You Choose This Service?
- To avoid facing legal penalties in tax audits
- To complete your transfer pricing documentation on time
- To record intercompany transactions and strengthen your defense in audits
- To meet legal obligations and maintain compliance
Transfer pricing is not just a financial reporting process; it’s a strategic tax shield.
Frequently Asked Questions About Transfer Pricing
Transfer pricing is a tax application that requires the prices between related parties to be set according to comparable market prices.
Companies whose annual total related-party transaction volume exceeds certain thresholds are required to prepare this report.
Comparable uncontrolled price method, cost-plus method, resale price method, and other OECD-compliant methods are used.
Typically, it should be prepared along with the corporate tax return, after the year-end.
Failure to prepare the report can lead to severe penalties in tax audits and may result in hidden profit recognition.
Invoices, contracts, transaction documentation, internal group policies, financial statements, and similar documents are required.
Would You Like to Get Expert Support?
Delays, mistakes, or uncertainties in your tax processes can lead to serious risks.
Take the right steps today — contact us and manage your tax journey with confidence through tailored solutions.