Benchmark Company Reports can be used for a wide range of transfer pricing analyses. They provide insight into profitability for U.S. and Canadian companies across an array of industries and functions for the Comparable Profits Method (CPM) in section 482 of the Internal Revenue Code and the Transactional Net Margin Method (TNMM) in the OECD Guidelines. To see how our comparable research can serve you – watch our demo video.
