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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Insights
FAQ | How Can Businesses Cope with Tariffs During the Trump Era?
Business leaders are asking numerous questions in light of the uncertainty caused by U.S. measures and the imposition of tariffs in particular.
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Events
Navigating the Trump Era
During this discussion panel, our experts will provide practical advice to ensure sound management of your organization in the current context.
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Insights
U.S. Tariffs: Should you Revise your Transfer Prices?
How can a Canadian company operating in the United States mitigate the impact of the tariffs that Donald Trump might impose? Uncertainty(…)
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Events
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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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
Pillar Two – OECD: Minimum Tax Proposal
The Organisation for Economic Cooperation and Development’s (OECD) Secretariat continues to pursue an in-depth and comprehensive international tax reform.
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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.