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Section 2.6 Pricing Schedule (Revised) RFP 38105 Employee Background Investigation Screening Services Offers must use the table below for submitting their costs. Other variations or formats will not
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Section 26 pricing refers to the part of the tax code that deals with transfer pricing regulations.
Multinational companies with related party transactions are required to file section 26 pricing.
Section 26 pricing should be filled out with detailed information about related party transactions and transfer pricing methods used.
The purpose of section 26 pricing is to ensure that related party transactions are conducted at arm’s length prices.
Information such as details of related party transactions, transfer pricing methods, and justifications for pricing decisions must be reported on section 26 pricing.
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