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Streamlining Global Compliance with a Bilateral APA for a Family-Owned MNE

Context and Background In early 2025, Quantera Global advised a family-owned multinational enterprise (MNE) with over €100 million in annual revenue. The client runs a vertically integrated value chain covering development, production, and sales, ...
Context and Background In early 2025, Quantera Global advised a family-owned multinational enterprise (MNE) with over €100 mill...
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Quantera Global Newsletter – June 2025

In this edition of the newsletter, you will find the most important national and global developments in tax law that are (closely) related to the transfer pricing world. Please feel free to contact us if you have any questions. Quantera Global New...
In this edition of the newsletter, you will find the most important national and global developments in tax law that are (close...
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Case study: Enabling Scalable Growth through a Robust TP Design for a SaaS Client

Context and Background A rapidly scaling SaaS company (€50M+ revenue) engaged Quantera Global to establish a comprehensive transfer pricing (TP) design and operational TP (OTP) process from the ground up. The client had undergone multiple acquisit...
Context and Background A rapidly scaling SaaS company (€50M+ revenue) engaged Quantera Global to establish a comprehensive tran...
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Germany’s Transfer Pricing Shift: Upcoming Global Implications for Transparency and Compliance

In a recent episode of The Transfer Pricing Method, host Adriaan van der Heijden welcomes Oliver Treidler and Rudolf Sinx. Together, they explore the evolving landscape of tax audits, compliance demands, and strategic documentation requirements in...
In a recent episode of The Transfer Pricing Method, host Adriaan van der Heijden welcomes Oliver Treidler and Rudolf Sinx. Toge...
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Transfer Pricing Forms: Escalating Risks in a Data-Driven Environment

In recent years, tax authorities globally have intensified their focus on transfer pricing (TP) compliance – not solely through traditional audits, but increasingly via comprehensive transfer pricing forms. These structured disclosures, whic...
In recent years, tax authorities globally have intensified their focus on transfer pricing (TP) compliance – not solely t...
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Quantera Global Newsletter – May 2025

In this edition of the newsletter, you will find the most important national and global developments in tax law that are (closely) related to the transfer pricing world. Please feel free to contact us if you have any questions. Quantera Global New...
In this edition of the newsletter, you will find the most important national and global developments in tax law that are (close...
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Mastering Operational Transfer Pricing: Insights from Industry Experts 

Operational Transfer Pricing (OTP) has evolved from being an afterthought to a critical function within multinational enterprises (MNEs). The effectiveness of OTP determines not only regulatory compliance but also financial accuracy, tax efficienc...
Operational Transfer Pricing (OTP) has evolved from being an afterthought to a critical function within multinational enterpris...
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Understanding location-specific advantages: insights from OECD guidelines and UN Model

Location-specific advantages, including location savings are a crucial concept in the field of transfer pricing. They refer to the cost savings and other (beneficial) local market features that multinational enterprises (MNEs) can achieve by reloc...
Location-specific advantages, including location savings are a crucial concept in the field of transfer pricing. They refer to ...
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