Chévez Ruíz Zamarripa y Cía
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Mexican taxpayers are obliged to determine their taxable income and authorized deductions derived from related party transactions considering the prices that would have been used in comparable transactions with or between independent parties
Transfer pricing has become a major tax topic in Mexico’s tax audits. Multinational companies (MNEs) are starting to view this issue not only as a mere compliance requirement but as a strategic risk assessment area within the Company’s tax division
Expert
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Practice area
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Country
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Campero, Oscar |
Transfer Pricing |
Mexico |
Cortina Velarde, Francisco J |
International Trade |
Mexico |
Rendón, Ricardo |
Transfer Pricing |
Mexico |
Sáinz Orantes, Manuel |
Tax |
Mexico |
Sánchez, Chao Guillermo |
International Trade |
Mexico |
Torres Rivero, Alejandro J |
Tax |
Mexico |
Uehara, Yoshio |
Transfer Pricing |
Mexico |
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