Turkish Law Blog

Ramazan Biçer

Ramazan Biçer


Biography Articles

Ramazan Biçer joined in Centrum in 2016. He is leading international consulting and transfer pricing services at Centrum Consulting. Ramazan has 11 years Turkish Tax Authorities experience as transfer pricing advisor and worked at central level.


In his eleven years experience at Turkish tax authorities, he took the role of leading transfer pricing teams; advising large tax payers in various industries. He speaks fluent English.




Ramazan has involved in the drafting of Turkish transfer pricing legislation and visited numerous tax authorities within the transfer pricing study visits. He has also attended the OECD Working Party 6 on Transfer Pricing as a Turkish delegate. Following his departure from Turkish Tax Authorities, he joined in PricewaterhouseCoopers (PwC) in 2013 and worked therein as senior transfer pricing manager for 3 years. In his PwC period Ramazan managed a wide range of transfer pricing and international tax projects.


He served a large of number of Turkish and foreign multinationals at PwC and his transfer pricing services included transfer pricing documentation, transfer pricing consultancy, negotiations with Turkish Tax Authorities during APAs, transfer pricing audit services. He was also a part of PwC international tax services team and advised his clients on vast variety of international tax issues. In this regard, his experience also includes the business restructuring of companies, permanent establishments, dispute resolution and mutual agreement procedures in transfer pricing.




Ramazan holds an Advanced LL.M. Degree in International Tax Law from Leiden University in the Netherlands.




He published many articles in the field of transfer pricing both in Turkish and international well-known publications. Ramazan is the author of a transfer pricing book named as 'Transfer Pricing Practices Guidelines'.


Specialty Areas


Ramazan serves his clients in the fields of restructuring multinational companies, international company set-up, international tax planning, double tax treaties, permanent establishments, transfer pricing (transfer pricing documentation and consultation, transfer pricing risk analysis, transfer pricing policies, benchmarking studies, transfer pricing audits), APAs and MAPs, OECD BEPS related issues.