90% faster documentation

AI agent for Transfer Pricing Specialists

From months of documentation to days

Delegate transfer pricing documentation to a specialized AI agent. It extracts intercompany transaction data from ERP systems and contracts, validates pricing against comparable benchmarks, and generates country-by-country reports that meet OECD guidelines, allowing your tax team to focus on strategic planning instead of data compilation.

Ideal for

Tax Directors

Transfer Pricing Teams

Corporate Tax Counsel

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  • Mercedes-Benz logo
    SMC  logo
    Mercedes-Benz logo
    Centerline logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Alaris logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Foobar logo
    ABL logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Brotherhood Mutual logo
    Mercedes-Benz logo
    Paige logo
    Roche logo
    Mercedes-Benz logo
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    Munch Energie Logo
    Certainty Sofrware logo
    Raft logo
    Bayer Logo
    Mercedes-Benz logo
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  • Mercedes-Benz logo
    SMC  logo
    Mercedes-Benz logo
    Centerline logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Alaris logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Foobar logo
    ABL logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Brotherhood Mutual logo
    Mercedes-Benz logo
    Paige logo
    Roche logo
    Mercedes-Benz logo
    Sony logo
    Munch Energie Logo
    Certainty Sofrware logo
    Raft logo
    Bayer Logo
    Mercedes-Benz logo
    Mercedes-Benz logo

See AI agent for Transfer Pricing Specialists in action

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FY2024 Transfer Pricing Documentation

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    SMC  logo
    Mercedes-Benz logo
    Centerline logo
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    Alaris logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Foobar logo
    ABL logo
    Mercedes-Benz logo
    Mercedes-Benz logo
    Brotherhood Mutual logo
    Mercedes-Benz logo
    Paige logo
    Roche logo
    Mercedes-Benz logo
    Sony logo
    Munch Energie Logo
    Certainty Sofrware logo
    Raft logo
    Bayer Logo
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See AI agent for Transfer Pricing Specialists in action

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Time comparison

Time comparison

Traditional way

8-12 weeks

With V7 Go agents

3-5 days

Average time saved

90%

Why V7 Go

Why V7 Go

Automated Transaction Extraction

Extracts intercompany transaction data from ERP systems, invoices, and service agreements, identifying all cross-border flows that require transfer pricing documentation under local regulations.

Automated Transaction Extraction

Extracts intercompany transaction data from ERP systems, invoices, and service agreements, identifying all cross-border flows that require transfer pricing documentation under local regulations.

Automated Transaction Extraction

Extracts intercompany transaction data from ERP systems, invoices, and service agreements, identifying all cross-border flows that require transfer pricing documentation under local regulations.

Automated Transaction Extraction

Extracts intercompany transaction data from ERP systems, invoices, and service agreements, identifying all cross-border flows that require transfer pricing documentation under local regulations.

Arm's Length Pricing Validation

Compares your intercompany pricing against comparable uncontrolled transactions and industry benchmarks, flagging arrangements that fall outside acceptable ranges and may trigger audit scrutiny.

Arm's Length Pricing Validation

Compares your intercompany pricing against comparable uncontrolled transactions and industry benchmarks, flagging arrangements that fall outside acceptable ranges and may trigger audit scrutiny.

Arm's Length Pricing Validation

Compares your intercompany pricing against comparable uncontrolled transactions and industry benchmarks, flagging arrangements that fall outside acceptable ranges and may trigger audit scrutiny.

Arm's Length Pricing Validation

Compares your intercompany pricing against comparable uncontrolled transactions and industry benchmarks, flagging arrangements that fall outside acceptable ranges and may trigger audit scrutiny.

Functional Analysis Automation

Analyzes contracts and organizational data to document the functions performed, assets employed, and risks assumed by each entity, creating the foundation for defensible transfer pricing positions.

Functional Analysis Automation

Analyzes contracts and organizational data to document the functions performed, assets employed, and risks assumed by each entity, creating the foundation for defensible transfer pricing positions.

Functional Analysis Automation

Analyzes contracts and organizational data to document the functions performed, assets employed, and risks assumed by each entity, creating the foundation for defensible transfer pricing positions.

Functional Analysis Automation

Analyzes contracts and organizational data to document the functions performed, assets employed, and risks assumed by each entity, creating the foundation for defensible transfer pricing positions.

Country-by-Country Reporting

Generates CbCR reports that meet OECD and local filing requirements, consolidating revenue, profit, tax paid, and employee data across all jurisdictions where your group operates.

Country-by-Country Reporting

Generates CbCR reports that meet OECD and local filing requirements, consolidating revenue, profit, tax paid, and employee data across all jurisdictions where your group operates.

Country-by-Country Reporting

Generates CbCR reports that meet OECD and local filing requirements, consolidating revenue, profit, tax paid, and employee data across all jurisdictions where your group operates.

Country-by-Country Reporting

Generates CbCR reports that meet OECD and local filing requirements, consolidating revenue, profit, tax paid, and employee data across all jurisdictions where your group operates.

Master File Generation

Creates comprehensive master files documenting your global business operations, intangible property strategy, and intercompany financial activities in compliance with BEPS Action 13 requirements.

Master File Generation

Creates comprehensive master files documenting your global business operations, intangible property strategy, and intercompany financial activities in compliance with BEPS Action 13 requirements.

Master File Generation

Creates comprehensive master files documenting your global business operations, intangible property strategy, and intercompany financial activities in compliance with BEPS Action 13 requirements.

Master File Generation

Creates comprehensive master files documenting your global business operations, intangible property strategy, and intercompany financial activities in compliance with BEPS Action 13 requirements.

Audit-Ready Documentation

Maintains complete audit trails linking every pricing conclusion back to source documents and comparable data, providing the evidence tax authorities demand during transfer pricing examinations.

Audit-Ready Documentation

Maintains complete audit trails linking every pricing conclusion back to source documents and comparable data, providing the evidence tax authorities demand during transfer pricing examinations.

Audit-Ready Documentation

Maintains complete audit trails linking every pricing conclusion back to source documents and comparable data, providing the evidence tax authorities demand during transfer pricing examinations.

Audit-Ready Documentation

Maintains complete audit trails linking every pricing conclusion back to source documents and comparable data, providing the evidence tax authorities demand during transfer pricing examinations.

Analyzes all intercompany documentation

To ensure global tax compliance.

Get started

Get started

Logo
Logo

Import your files

Oracle Cloud Infrastructure

,

Microsoft Excel

,

Microsoft Sharepoint Online

Import your files from whereever they are currently stored

Customer voices

Customer voices

Connect AI to your transfer pricing methodology.

Connect AI to your transfer pricing methodology.

Turn compliance documentation into a strategic advantage.

Turn compliance documentation into a strategic advantage.

Finance

Legal

Insurance

Tax

Real Estate

Finance

Legal

Insurance

Tax

Real Estate

Finance

Legal

Insurance

Tax

Real Estate

Customer Voices

Industrial equipment sales

We are looking for V7 Go and AI in general to be the beating heart of our company and our growth. It will make us more productive as a company, liaising with customers, automating tasks, even finding new work.

Read the full story

Industrial equipment sales

We are looking for V7 Go and AI in general to be the beating heart of our company and our growth. It will make us more productive as a company, liaising with customers, automating tasks, even finding new work.

Read the full story

Insurance

We have six assessors. Before V7 Go, each would process around 15 claims a day, about 90 in total. With V7 Go, we’re expecting that to rise to around 20 claims per assessor, which adds up to an extra 30 claims a day. That’s the equivalent of two additional full-time assessors. Beyond the cost savings, there’s real reputational gains from fewer errors and faster turnaround times.

Read the full story

Insurance

We have six assessors. Before V7 Go, each would process around 15 claims a day, about 90 in total. With V7 Go, we’re expecting that to rise to around 20 claims per assessor, which adds up to an extra 30 claims a day. That’s the equivalent of two additional full-time assessors. Beyond the cost savings, there’s real reputational gains from fewer errors and faster turnaround times.

Read the full story

Real Estate

Prior to V7, people using the software were manually inputting data. Now it’s so much faster because it just reads it for them. On average, it saves our customers 45 minutes to an hour of work, and it’s more accurate.

Read the full story

Real Estate

Prior to V7, people using the software were manually inputting data. Now it’s so much faster because it just reads it for them. On average, it saves our customers 45 minutes to an hour of work, and it’s more accurate.

Read the full story

Features

Features

Results you can actually trust.
Reliable AI document processing toolkit.

Results you can trust.
Trustworthy AI document processing toolkit.

Supporting complex documents.

Up to 200 pages.

Transfer pricing documentation spans multiple formats and languages. This agent processes intercompany agreements in any language, extracts transaction data from ERP exports, and analyzes financial statements regardless of accounting standards or presentation format.

Input types

50+ languages

ERP Data Exports

200 pages

Multi-modal

Document types

PDFs

ERP Exports

Complex Tables

Financial Data

Spreadsheets

Vendor_US.xlsx

3

Supply_2023.pptx

Review_Legal.pdf

Supporting complex documents.

Up to 200 pages.

Transfer pricing documentation spans multiple formats and languages. This agent processes intercompany agreements in any language, extracts transaction data from ERP exports, and analyzes financial statements regardless of accounting standards or presentation format.

Input types

50+ languages

ERP Data Exports

200 pages

Multi-modal

Document types

PDFs

ERP Exports

Complex Tables

Financial Data

Spreadsheets

Vendor_US.xlsx

3

Supply_2023.pptx

Review_Legal.pdf

Supporting complex documents.

Up to 200 pages.

Transfer pricing documentation spans multiple formats and languages. This agent processes intercompany agreements in any language, extracts transaction data from ERP exports, and analyzes financial statements regardless of accounting standards or presentation format.

Input types

50+ languages

ERP Data Exports

200 pages

Multi-modal

Document types

PDFs

ERP Exports

Complex Tables

Financial Data

Spreadsheets

Vendor_US.xlsx

3

Supply_2023.pptx

Review_Legal.pdf

Reach 99% accuracy rate

through GenAI reasoning.

Transfer pricing penalties can exceed the underlying tax liability. The agent uses multi-step validation to ensure transaction amounts, pricing methodologies, and comparable benchmarks are extracted with precision, creating documentation that withstands regulatory scrutiny.

Model providers

Security note

V7 never trains models on your private data. We keep your data encrypted and allow you to deploy your own models.

Answer

Type

Text

Tool

o4 Mini

Reasoning effort

Min

Low

Mid

High

AI Citations

Inputs

Set a prompt (Press @ to mention an input)

Reach 99% accuracy rate

through GenAI reasoning.

Transfer pricing penalties can exceed the underlying tax liability. The agent uses multi-step validation to ensure transaction amounts, pricing methodologies, and comparable benchmarks are extracted with precision, creating documentation that withstands regulatory scrutiny.

Model providers

Security note

V7 never trains models on your private data. We keep your data encrypted and allow you to deploy your own models.

Answer

Type

Text

Tool

o4 Mini

Reasoning effort

Min

Low

Mid

High

AI Citations

Inputs

Set a prompt (Press @ to mention an input)

Reach 99% accuracy rate

through GenAI reasoning.

Transfer pricing penalties can exceed the underlying tax liability. The agent uses multi-step validation to ensure transaction amounts, pricing methodologies, and comparable benchmarks are extracted with precision, creating documentation that withstands regulatory scrutiny.

Model providers

Security note

V7 never trains models on your private data. We keep your data encrypted and allow you to deploy your own models.

Answer

Type

Text

Tool

o4 Mini

Reasoning effort

Min

Low

Mid

High

AI Citations

Inputs

Set a prompt (Press @ to mention an input)

Trustworthy results,

grounded in reality.

Tax authorities demand evidence. Every pricing conclusion, functional analysis finding, and comparable benchmark is visually linked to its source document, creating the complete audit trail needed to defend your transfer pricing positions during examinations.

Visual grounding in action

00:54

Deliberate Misrepresentation: During the trial, evidence was presented showing that John Doe deliberately misrepresented his income on multiple occasions over several years. This included falsifying documents, underreporting income, and inflating deductions to lower his tax liability. Such deliberate deception demonstrates intent to evade taxes.

Pattern of Behavior: The prosecution demonstrated a consistent pattern of behavior by John Doe, spanning several years, wherein he consistently failed to report substantial portions of his income. This pattern suggested a systematic attempt to evade taxes rather than mere oversight or misunderstanding.

Concealment of Assets: Forensic accounting revealed that John Doe had taken significant steps to conceal his assets offshore, including setting up shell companies and using complex financial structures to hide income from tax authorities. Such elaborate schemes indicate a deliberate effort to evade taxes and avoid detection.

Failure to Cooperate: Throughout the investigation and trial, John Doe displayed a lack of cooperation with tax authorities. He refused to provide requested documentation, obstructed the audit process, and failed to disclose relevant financial information. This obstructionism further supported the prosecution's argument of intentional tax evasion.

Prior Warning and Ignoring Compliance

02

01

01

02

Trustworthy results,

grounded in reality.

Tax authorities demand evidence. Every pricing conclusion, functional analysis finding, and comparable benchmark is visually linked to its source document, creating the complete audit trail needed to defend your transfer pricing positions during examinations.

Visual grounding in action

00:54

Deliberate Misrepresentation: During the trial, evidence was presented showing that John Doe deliberately misrepresented his income on multiple occasions over several years. This included falsifying documents, underreporting income, and inflating deductions to lower his tax liability. Such deliberate deception demonstrates intent to evade taxes.

Pattern of Behavior: The prosecution demonstrated a consistent pattern of behavior by John Doe, spanning several years, wherein he consistently failed to report substantial portions of his income. This pattern suggested a systematic attempt to evade taxes rather than mere oversight or misunderstanding.

Concealment of Assets: Forensic accounting revealed that John Doe had taken significant steps to conceal his assets offshore, including setting up shell companies and using complex financial structures to hide income from tax authorities. Such elaborate schemes indicate a deliberate effort to evade taxes and avoid detection.

Failure to Cooperate: Throughout the investigation and trial, John Doe displayed a lack of cooperation with tax authorities. He refused to provide requested documentation, obstructed the audit process, and failed to disclose relevant financial information. This obstructionism further supported the prosecution's argument of intentional tax evasion.

Prior Warning and Ignoring Compliance

02

01

01

02

Trustworthy results,

grounded in reality.

Tax authorities demand evidence. Every pricing conclusion, functional analysis finding, and comparable benchmark is visually linked to its source document, creating the complete audit trail needed to defend your transfer pricing positions during examinations.

Visual grounding in action

00:54

Deliberate Misrepresentation: During the trial, evidence was presented showing that John Doe deliberately misrepresented his income on multiple occasions over several years. This included falsifying documents, underreporting income, and inflating deductions to lower his tax liability. Such deliberate deception demonstrates intent to evade taxes.

Pattern of Behavior: The prosecution demonstrated a consistent pattern of behavior by John Doe, spanning several years, wherein he consistently failed to report substantial portions of his income. This pattern suggested a systematic attempt to evade taxes rather than mere oversight or misunderstanding.

Concealment of Assets: Forensic accounting revealed that John Doe had taken significant steps to conceal his assets offshore, including setting up shell companies and using complex financial structures to hide income from tax authorities. Such elaborate schemes indicate a deliberate effort to evade taxes and avoid detection.

Failure to Cooperate: Throughout the investigation and trial, John Doe displayed a lack of cooperation with tax authorities. He refused to provide requested documentation, obstructed the audit process, and failed to disclose relevant financial information. This obstructionism further supported the prosecution's argument of intentional tax evasion.

Prior Warning and Ignoring Compliance

02

01

01

02

Enterprise grade security

for high-stake industries.

Transfer pricing documentation contains your most sensitive financial and strategic information. V7 Go processes all data within your secure environment, ensuring confidentiality and compliance with data privacy regulations across all jurisdictions where you operate.

Certifications

GDPR

SOC2

HIPAA

ISO

Safety

Custom storage

Data governance

Access-level permissions

Enterprise grade security

for high-stake industries.

Transfer pricing documentation contains your most sensitive financial and strategic information. V7 Go processes all data within your secure environment, ensuring confidentiality and compliance with data privacy regulations across all jurisdictions where you operate.

Certifications

GDPR

SOC2

HIPAA

ISO

Safety

Custom storage

Data governance

Access-level permissions

Enterprise grade security

for high-stake industries.

Transfer pricing documentation contains your most sensitive financial and strategic information. V7 Go processes all data within your secure environment, ensuring confidentiality and compliance with data privacy regulations across all jurisdictions where you operate.

Certifications

GPDR

SOC2

HIPAA

ISO

Safety

Custom storage

Data governance

Access-level permissions

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Answers

Answers

What you need to know about our

AI agent for Transfer Pricing Specialists

How does the agent validate arm's length pricing?

The agent applies the most appropriate transfer pricing method for each transaction type, comparing your pricing against databases of comparable uncontrolled transactions. It calculates interquartile ranges and flags any pricing that falls outside acceptable benchmarks, providing the economic analysis needed to defend your positions.

+

How does the agent validate arm's length pricing?

The agent applies the most appropriate transfer pricing method for each transaction type, comparing your pricing against databases of comparable uncontrolled transactions. It calculates interquartile ranges and flags any pricing that falls outside acceptable benchmarks, providing the economic analysis needed to defend your positions.

+

How does the agent validate arm's length pricing?

The agent applies the most appropriate transfer pricing method for each transaction type, comparing your pricing against databases of comparable uncontrolled transactions. It calculates interquartile ranges and flags any pricing that falls outside acceptable benchmarks, providing the economic analysis needed to defend your positions.

+

Can it handle different transfer pricing methods?

Yes. The agent supports all OECD-approved methods including CUP, resale price, cost plus, TNMM, and profit split. It selects the most reliable method based on transaction characteristics and data availability, documenting the rationale for method selection as required by tax authorities.

+

Can it handle different transfer pricing methods?

Yes. The agent supports all OECD-approved methods including CUP, resale price, cost plus, TNMM, and profit split. It selects the most reliable method based on transaction characteristics and data availability, documenting the rationale for method selection as required by tax authorities.

+

Can it handle different transfer pricing methods?

Yes. The agent supports all OECD-approved methods including CUP, resale price, cost plus, TNMM, and profit split. It selects the most reliable method based on transaction characteristics and data availability, documenting the rationale for method selection as required by tax authorities.

+

How does it integrate with our ERP system?

The agent connects to major ERP platforms to extract intercompany transaction data automatically. It can also process exported transaction files, invoices, and service agreements to build a complete picture of your intercompany flows without requiring direct system integration.

+

How does it integrate with our ERP system?

The agent connects to major ERP platforms to extract intercompany transaction data automatically. It can also process exported transaction files, invoices, and service agreements to build a complete picture of your intercompany flows without requiring direct system integration.

+

How does it integrate with our ERP system?

The agent connects to major ERP platforms to extract intercompany transaction data automatically. It can also process exported transaction files, invoices, and service agreements to build a complete picture of your intercompany flows without requiring direct system integration.

+

Does it support local country documentation requirements?

Absolutely. Beyond the OECD three-tier documentation framework, the agent can be configured to meet specific local filing requirements in jurisdictions like India, China, and Brazil that mandate additional disclosures or use prescribed formats.

+

Does it support local country documentation requirements?

Absolutely. Beyond the OECD three-tier documentation framework, the agent can be configured to meet specific local filing requirements in jurisdictions like India, China, and Brazil that mandate additional disclosures or use prescribed formats.

+

Does it support local country documentation requirements?

Absolutely. Beyond the OECD three-tier documentation framework, the agent can be configured to meet specific local filing requirements in jurisdictions like India, China, and Brazil that mandate additional disclosures or use prescribed formats.

+

How does it handle intangible property transactions?

The agent identifies all IP-related transactions including royalties, cost-sharing arrangements, and IP transfers. It documents the development, enhancement, maintenance, protection, and exploitation of intangibles, applying appropriate valuation methods and ensuring compliance with BEPS guidance on hard-to-value intangibles.

+

How does it handle intangible property transactions?

The agent identifies all IP-related transactions including royalties, cost-sharing arrangements, and IP transfers. It documents the development, enhancement, maintenance, protection, and exploitation of intangibles, applying appropriate valuation methods and ensuring compliance with BEPS guidance on hard-to-value intangibles.

+

How does it handle intangible property transactions?

The agent identifies all IP-related transactions including royalties, cost-sharing arrangements, and IP transfers. It documents the development, enhancement, maintenance, protection, and exploitation of intangibles, applying appropriate valuation methods and ensuring compliance with BEPS guidance on hard-to-value intangibles.

+

What documentation does it produce?

The agent generates master files, local files, and country-by-country reports in formats that meet regulatory requirements. It produces functional analyses, economic analyses, and comparability studies with full citations to source data, creating documentation packages ready for tax authority review.

+

What documentation does it produce?

The agent generates master files, local files, and country-by-country reports in formats that meet regulatory requirements. It produces functional analyses, economic analyses, and comparability studies with full citations to source data, creating documentation packages ready for tax authority review.

+

What documentation does it produce?

The agent generates master files, local files, and country-by-country reports in formats that meet regulatory requirements. It produces functional analyses, economic analyses, and comparability studies with full citations to source data, creating documentation packages ready for tax authority review.

+

Next steps

Next steps

Facing a transfer pricing audit with incomplete documentation?

Send us your intercompany agreements and transaction data. We'll demonstrate how to generate audit-ready documentation that meets OECD standards in days, not months.

Uncover hidden liabilities

in

supplier contracts.

V7 Go transforms documents into strategic assets. 150+ enterprises are already on board:

Uncover hidden liabilities

in

supplier contracts.

V7 Go transforms documents into strategic assets. 150+ enterprises are already on board: