Platform · Transfer Pricing
Defensible comparables, five OECD methods, documentation on autopilot.
Transfer pricing lives or dies on the quality of the evidence. FiscalEyes gives you a curated comparables universe, automated search refinement, and OECD-aligned method selection — with every decision captured in an audit-ready work file.
Capabilities
2.1 million company financials and 180,000 licensing agreements, normalised, deduplicated and kept current. Pull searches in minutes, not days.
CUP, resale price, cost plus, TNMM and profit split — FiscalEyes recommends and justifies the appropriate method with reference to OECD Chapter II.
Quartile calculations, loss-maker screens and rejection matrices run automatically, with every inclusion/exclusion logged for reviewer scrutiny.
Generate BEPS Action 13-compliant local and master files in one click, pre-populated with your structure, intercompany flows and benchmarks.
Assemble CbC data across your entity tree, validate against XML schema and export ready for submission or pre-filing review.
Draft, version and renew intercompany contracts from FiscalEyes templates — consistent with your selected methods and pricing policies.
Workflow
Describe the controlled transaction, tested party and industry. FiscalEyes sets the search strategy.
Automated and manual refinement produce a defensible comparable set with full acceptance/rejection notes.
Local file, master file, CbC, memos — all generated from the same underlying analysis, in your firm's template.
What's inside
Run a benchmark during your free trial, or book a working session with one of our TP economists.