Align intercompany pricing with international standards

We support companies in developing, implementing and defending transfer pricing strategies that comply with both Armenian tax law and OECD Transfer Pricing Guidelines. Our services ensure that your cross-border transactions are appropriately priced, well-documented and fully defensible during audits or inquiries.

Our services include:

  • Preparation of Armenian Tax Code and OECD compliant Local File

  • Transfer Pricing benchmarking and economic justification studies with the use of Moody’s TP Catalyst Database

  • Audit defense and tax authority representation

  • Advance Pricing Agreements (APAs) negotiation, drafting and representation in tax authorities