We provide guidance on cross-border tax planning strategies and optimizing Business’ global tax positions, minimizing tax liabilities and ensuring compliance with international tax laws and regulations.
We help clients with transfer pricing regulations, preparing transfer pricing documentation, conducting benchmarking studies and developing transfer pricing policies to ensure compliance with local transfer pricing rules and regulations. We also guide transfer pricing audits, disputes and Advance Pricing Agreements (APAs) to help clients mitigate transfer pricing risks effectively.
We help clients comply with various foreign tax reporting obligations, including filing requirements for foreign subsidiaries, controlled foreign corporations (CFCs) and foreign bank account reporting (FBAR).
In the event of tax disputes or controversies, our tax corporate lawyers provide effective strategies for resolution and representation in litigation proceedings. Our team develops proactive dispute resolution strategies, including negotiation, mediation and administrative proceedings, to achieve favourable outcomes for our clients.
In the event of international tax disputes, our experienced international tax lawyers assist in resolving disputes with tax authorities through negotiation, mediation, arbitration or litigation. We handle a wide range of international tax controversies, including transfer pricing adjustments, Permanent Establishment (PE) disputes and double taxation issues, to achieve favourable outcomes for our clients.
We are always ready to help.