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Tax and transfer pricing

The richest, most reliable company resource for global transfer pricing analysis.
 
- Identify independent arm's-length benchmarks
- Access a range of transfer pricing-relevant intelligence
- Plan, document, set and fine tune your policies

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Overview

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Overview

Orbis has detailed and comparable information on more than 41 million companies globally, and more than 400 million in total. This information is combined with our intuitive and powerful software to deliver the best solution for arm’s-length analysis available. We deliver:

  • Extensive ownership structures (including indirect ownership and beneficial owners) for accurate selection of arm’s-length comparables
  • Detailed business overviews, with cross-referenced industry codes and access to company websites for comparability analysis
  • Information on intellectual property, financial strength and M&A profiles for detailed comparability analysis
  • Access to original scanned documents and global reports to support financial results
  • Full profit and loss accounts and balance sheets for quantitative comparability analysis and for benchmarking results

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Our solutions

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Our solutions

TP Catalyst - powered by our Orbis database, this platform combines company information with royalty rates, lending margins and our commodities modules so you can do transfer pricing analysis in an efficient, user-friendly workflow.

Document Manager - a flexible, scalable platform for managing your transfer pricing documentation process from a BEPS Action 13 perspective. Using it you can collaborate with, and manage, stakeholders inside and outside your organization, centrally archive all your working papers and supporting information and produce your master file, local files and country-by-country reports.

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How we help

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How we help

Transfer pricing specialists and practitioners

  • Establish reliable, independent arm’s-length benchmarks for pricing intra-group transactions
  • Conduct due-diligence review of external comparables from a tax-audit or a dispute-resolution perspective
  • Conduct BEPS risk-assessment analysis from a corporate-group and local-entity perspective
  • Monitor transfer pricing policies on an on-going basis

 

Multinational Corporations

  • Monitor global operations against arm’s-length benchmarks
  • Streamline your transfer pricing documentation process
  • Centralize the storage and retrieval of supporting documents
  • Comply with BEPS Action 13
  • Increase control over your transfer pricing risk
  • Reduce the cost of transfer pricing compliance

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Key benefits

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Key benefits

 
  • Streamline the benchmarking and documentation processes
  • Access robust, reliable data with clarity around companies’ independence, for arm’s-length analysis
  • Access complementary data sets such as royalty rates, lending margins and commodity prices
  • Gain operational efficiencies
  • Reduce the risk of human error
  • Improve internal controls and due diligence
  • Derive consistent results by using the same data source that tax authorities, tax consultants and corporates rely on across the globe

RegTech Award for best data solution for tax compliance

 

ACQ5 Global Awards 2019

 

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International integrity

This special report considers the importance of company data in a post-BEPS world. At a time when the global nature of business is being questioned by many, companies will want to make certain their international activities are secure, by attributing profits correctly as part of a robust transfer pricing policy.

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