Market Range Study (MRS) – Benchmarking

If the Company engages in transactions subject to transfer pricing rules, even if it is not formally required to file the Local Report, it must verify whether the amount reported for such a transaction is at arm’s length, so that it can comply with the substantive requirement of the transfer pricing regulations. In this regard, having a technical study is essential to avoid subsequent adjustments that could result in a higher tax burden.

Our Market Range Study service includes the preparation of a technical study analyzing comparability ranges for price, interest rate, royalty rate, or profit margin in accordance with arm’s-length market conditions, as well as tax documentation, so that companies have a tool to conduct proper transfer pricing planning and agree on their consideration in compliance with the principle of free competition. To determine Market Value, various methodologies and technical guidelines on transfer pricing and valuation are used, as accepted by the rules and regulations imposed by the Tax Administration and the guidelines published by the Organization for Economic Cooperation and Development (OECD).

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  • exceptional extension of the local transfer pricing report 2025

    exceptional extension of the local transfer pricing report 2025 The 𝗥𝗲𝘀𝗼𝗹𝘂𝗰𝗶𝗼𝗻 𝗱𝗲 𝗦𝘂𝗽𝗲𝗿𝗶𝗻𝘁𝗲𝗻𝗱𝗲𝗻𝗰𝗶𝗮 No. 000113-2026, exceptionally extending the deadline for…
  • Panama updates transfer pricing form 930

    On July 1, Resolution No. 201-4247 was published, amending Form 930 and adopting the newForm 930 Version 3, corresponding to…
  • Webinar de Precios de Transferencia en Centroamérica.

    Webinar on Transfer Pricing in Central America 2026

    📢We invite you to our webinar on Transfer Pricing in Central America! In collaboration with GarciaBodan and Casahierro Consultores, we’ve…
  • TRANSFER PRICING ALERT: COSTA RICA

    Attention, Costa Rica: There are only a few months left before the deadline for filing the Transfer Pricing Return. Contact…
  • The submission of advance pricing agreements (APAs) is regulated.

    Internal Revenue Service (SII) Exemption Resolution No.° 28, the procedure for entering into an Advance Pricing Agreement (APA) is regulated…
  • Webinar on fiscal year-end 2024 in Honduras

    In a strategic partnership with Arkoulis Latin American Liaison and DS Casahierro Consultores, we invite you to join us on…
  • Resolution MH-DGT-RES-000-2025.

    The Costa Rican Ministry of Finance has published the Draft Resolution on the 𝗗𝗲𝗰𝗹𝗮𝗿𝗮𝗰𝗶ó𝗻 𝗜𝗻𝗳𝗼𝗿𝗺𝗮𝘁𝗶𝘃𝗮 of 𝗣𝗿𝗲𝗰𝗶𝗼𝘀 𝗱𝗲 𝗧𝗿𝗮𝗻𝘀𝗳𝗲𝗿𝗲𝗻𝗰𝗶𝗮. After…
  • Extension for Transfer Pricing Affidavits in Chile

    The 𝐒𝐞𝐫𝐯𝐢𝐜𝐢𝐨 𝐝𝐞 𝐈𝐦𝐩𝐮𝐞𝐬𝐭𝐨𝐬 𝐈𝐧𝐭𝐞𝐫𝐧𝐨𝐬 (𝐒𝐈𝐈), through the 𝐑𝐞𝐬𝐨𝐥𝐮𝐜𝐢ó𝐧 𝐄𝐗. 𝐒𝐈𝐈 𝐍° 𝟔𝟒 𝐝𝐞𝐥 𝟕 𝐝𝐞 𝐣𝐮𝐧𝐢𝐨 𝐝𝐞 𝟐𝟎𝟐𝟒, grants…
  • BENEFIT TEST

    To whom does the BENEFICIO TEST requirement apply? The Benefit Test applies to all taxpayers who have received services from…
  • Transfer pricing in Peru

    The deadline for filing the Local Report Affidavit is this coming June. Due Date The return must be filed according…
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