From multinationals with operations in several jurisdictions to small businesses
planning their first business establishment abroad, our professional expertise
in international tax planning provides in-depth analysis and effective solutions.
Our cohesive international tax planning programs coordinate home and host
country taxation in a cross-border context.
International Tax
TRANSFER PRICING AND ADVANCE PRICING AGREEMENTS
The U.S. have enacted the most sophisticated body of transfer pricing regulations worldwide and the U.S. tax authorities have recently sought
stricter enforcement with higher penalties, detailed documentation requirements, bilateral exchange of information, increased specialization and resources
devoted to tax exams. The U.S. is not the only
country concerned with transfer pricing issues that
is why we will assist you in complying with transfer
pricing rules worldwide. Unilateral and bilateral
Advance Pricing Agreements with the tax authorities
can provide valid alternative dispute resolution
forums and the opportunity to resolve transfer
pricing issues for past as well as future years in a
cooperative context.
TAX TREATIES AND COMPETENT AUTHORITY
When it comes to applying or interpreting the benefits
of double tax treaties we will provide you with expert
assistance and consult with the U.S. and foreign
Competent Authorities to obtain double tax relief.
PROFIT REPATRIATION STRATEGIES
We assist foreign-owned U.S. subsidiaries in evaluating
alternatives for the tax-effective repatriation of U.S.
earnings.
INTERNATIONAL ASSIGNMENT OF EXECUTIVES
Business executives are increasingly mobile
internationally, our tax planning services for international
assignments are a valid tool to implement cost-effective
compensation packages.