Meeting challenges
We advise corporate clients and funds on strategic tax issues affecting their international structures and investments, creating proactive global tax strategies that achieve their business goals. This includes advice on transfer pricing, the application of OECD and G20 initiatives such as BEPS (base erosion and point shifting) and EU tax law and case law, and an efficient use of holding and financing structures. We tailor our advice to ensure clients maximise tax benefits whilst appropriately managing risk.
Expert team
Our tax partners across our global network have substantial experience of working in the international tax-planning arena and using well-established planning principles to help businesses manage down their effective tax rate. Many have worked in multiple jurisdictions and some sit on OECD, EU and regional committees and have been involved in defending clients before national courts and the EU Court of Justice on the scope of application of international tax principles.
Customised tax planning to suit your needs
We understand that when it comes to our clients' business, one size does not fit all. We provide advice on a range of international strategic tax issues, bespoke to clients across a range of sectors including transfer pricing, CFC planning, profit repatriation, exit strategies, BEPS compliance and treaty planning.