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International Taxes
V. P. Shinde & Co. provides range of services to businesses that work in different tax jurisdictions aim to reduce their overall tax liability and discharge statutory obligations in foreign jurisdictions. The cross-border movement of expatriates has resulted in a need for understanding the remedies that are available under the Double Taxation Avoidance Agreements (DTAA). It is done in order that the international relocation does not result in a juridical double taxation.
International Tax Services
We help you in the following areas:
Interpretation and utilization of Double Taxation Avoidance Agreements.
Ensuring compliance of International with holding tax matters.
Contract review.
Tax efficient Holding Company Locations.
Inbound and Outbound structuring.
Profit Repatriation.
Transfer Pricing
Overview

The transfer pricing provisions require businesses to maintain an extensive documentation for supporting their inter-company pricing, especially with reference to the third party comparable. This obligation along with the quantum of taxes involved and the strategic nature of inter-company pricing makes it necessary for the businesses to maintain a robust and defendable transfer pricing documentation.

V. P. Shinde & Co. transfer pricing team can help entities resolve transfer pricing issues and minimize the risk of non-compliance with Transfer Pricing Regulations. We have a team of specialists, comprising professionals in accounting, finance, law and tax. Our team offers advice on effective strategy on matters related to appeals or litigation.

We help you in the following areas:
Achieve an efficient manufacturing capacity and optimised physical distribution network
Advice on transfer pricing documentation requirements in multiple jurisdictions
Advisory Services with Reference to the DTAAS between India and Various Countries, Expatriate Taxation, etc.
Analytical Documentation Services
Assisting in Assessments / Appeals
Develop coordinated global transfer pricing documentation and defence files consistent with your needs
Evaluation of internal controls over transfer pricing are sufficient to satisfy a Section 404 end of year audit
Managing worldwide transfer pricing policies and procedures
Respond to a tax authority transfer pricing audit/enquiry