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ABOUT US QCG Transfer Pricing Practice is a ďŹ rm specialized in transfer pricing matters. Our clients are more than three hundred multinational companies worldwide. Companies like British Petroleum, Louis Vuitton, Ferrari, Victorinox, Starwood Hotels, etc. work with us, fully convinced of the advantages of having an expert by their side helping them to boost its transfer pricing practices. Through our advice, our clients typically reduce the risk of their decisions and develop new approaches to provide not only tax savings, but ďŹ nancial improvements.

BUSINESS LINES All our business lines are intended to provide an advantage on the transfer pricing arena. They are advisory, advance pricing agreements negotiation, analysis of safe harbor options, analysis and audit of business segment information, valuation, financial advisory, transfer pricing legal advice, international tax, customs and foreign trade.

TECHNOLOGY We use the best available technology. Our firm employs the most powerful search tools available on the market, used both by specialists in the area and by the tax authorities. Case in point, Research Insight® (Compustat and Global) of Standard & Poor’s and Osiris® and Amadeus® of Bureau Van Dijk supply business information on thousands of companies in recognized markets and information on non-public companies as well. To evaluate the reasonableness of conditions under which intangible property is licensed, RoyaltyStat® and IntangibleSpring provide highly sophisticated solutions. Finally, our own apps —like the Transfer Pricing Diligent®— allow us to diminish significantly the time spent to deliver results and increase the quality of the documentary support.

VALUES We take care of our clients. We do not believe in just giving an opinion. We are interested in providing the best possible solution, to explore new alternatives, to be a good business partner. We are ethical, we look for integrity, and for the right manner to do our job. Our ďŹ rm is governed by statutory requirements, professional principles and other external rules and regulations intended to guarantee the highest corporate standards. We believe in excellence. Continuously we look for new and better ways to do our job, to apply the latest thinking, to redeďŹ ne the best standards of our practice.



Colombia. How to attribute proďŹ ts to the Permanent Establishments. Colombia. Legis. June 2013. Mexico. Tax Authorities target domestic intercompany transactions. Mexico. IDC. 2013/07/13 Mexico. Tax Authorithies suggesting the elimination of the tax consolidation regime. Interview. El Universal, Mexico. 19/08/2013

Facts and Figures Start up year: 2001 Number of multinational companies attended: 300+ Number of transfer pricing analysis performed in a single year: 800+ Intercompany transactions evaluated per year: 4000+ (Average) Number of articles published per year in national media: 10+ Clients under transfer pricing audit: 0

CONTACT Central Office (City of Mexico)

Andean Office (Colombia)

Europe Office (Stranbourg)

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