Marie-Pierre Pelletier is a transfer pricing specialist who helps multinational groups structure their cross-border transactions. She has a Master of Management Science with a Major in Applied Economics from HEC Montréal, and has acquired extensive transfer pricing determination and documentation experience.
Her assignments involve conducting economic analyses for various types of cross-border transactions, in particular tangible asset exchanges, intragroup services, intellectual property transfers, brand name utilization with royalties and financial transactions.
Additionally, Marie-Pierre participates in planning the implementation of foreign transactions and recommending transfer pricing policies to be applied.
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International Tax Seminar
What’s new in the international tax landscape and how will it impact your company in 2024? Join us to navigate the ever-changing(…)
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Insights
Transfer pricing: how to treat the Emergency Wage Subsidy
How should employers consider Canada’s Emergency Wage Subsidy in setting their transfer prices? As of September 13, 2020, close to 1.1M Canadian(…)
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Insights
Will transfer prices need to be adjusted?
Limited-risk distributors and intra-group service providers: Should you adjust your transfer prices in connection with COVID-19? As multinational groups face unprecedented negative(…)
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Career articles
A unique organization: Marie-Pierre Pelletier, from analyst to partner
Marie-Pierre Pelletier is a partner in our firm. She’s been with us since 2006 when she was fresh out of university. Being(…)
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Insights
Digital economy: say goodbye to the arm's length principle
How the push for digital tax consensus could upend transfer pricing as we know it. After a slow and tentative start, the(…)
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Insights
Cameco decision a serious blow to the CRA’s aggressive transfer pricing audits
In his decision rendered at the Tax Court of Canada in favour of the taxpayer in Cameco Corporation v. The Queen, Justice(…)
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Insights
Transfer Pricing
Corporations that carry out significant transactions with foreign corporations under common control cannot avoid the question of transfer pricing because it encompasses(…)