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Tax Newsflash Transfer Pricing considerations for multinationals in KenyaVol. 1/2024 January 2024Transfer Pricing Considerations for Multinationals in KenyaTransfer Pricing considerations for Multinationals
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How to fill out transfer pricing considerations for

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How to fill out transfer pricing considerations for

01
Identify the related parties involved in the transaction.
02
Determine the nature of the goods or services being transferred.
03
Analyze the functions performed, risks assumed, and assets utilized by each party.
04
Select the appropriate transfer pricing method (e.g., Comparable Uncontrolled Price, Cost Plus, Market Price).
05
Gather necessary financial data and market analyses to support the chosen method.
06
Document the rationale behind the selected transfer pricing approach.
07
Ensure compliance with local and international tax laws and regulations.
08
Prepare and maintain transfer pricing documentation for audits.

Who needs transfer pricing considerations for?

01
Multinational corporations engaging in cross-border transactions.
02
Businesses with related party transactions.
03
Tax professionals and consultants advising on transfer pricing.
04
Regulatory agencies ensuring compliance with taxation laws.
05
Investors and stakeholders interested in understanding business valuation.
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Transfer pricing considerations are for determining the appropriate pricing for transactions between related entities, ensuring that they reflect market value and comply with legal regulations.
Businesses that engage in cross-border transactions with related parties are required to file transfer pricing considerations, typically larger multinational corporations.
Transfer pricing considerations should be filled out by collecting relevant financial data, analyzing pricing methods used, documenting the rationale for pricing decisions, and ensuring compliance with local tax regulations.
The purpose of transfer pricing considerations is to ensure fair taxation, prevent profit shifting, and adhere to international guidelines on intra-group pricing.
Information that must be reported includes details of the transactions, the pricing methodologies used, financial statements, functional analyses, and market conditions affecting pricing.
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