Global Transfer-Pricing

In 2013, the OECD issued its Action Plan on Base Erosion and Profit Shifting (“BEPS“), with a view to bringing international economic integration and national taxing rights more closely into line.

The Key to success is setting up acceptable at arm’s length in-house transfer-pricing rules, according to laws and international standards.

To have the right approach is even important for small SMEs with international business relations, subsidiaries or permanent establishments.

We are here to help – just speak to us to find out more.

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Lawyers and bankers in Switzerland are warning of a UK-style exodus of the wealthy ahead of a referendum on a 50% inheritance …

photo of Elizabeth Tower, London

The UK non-dom regime had been a distinctive characteristic of the UK tax system for decades, enabling (HNW-, UNW-) individuals whose place of domicile was outside the UK to make an annual claim to be taxed on the remittance basis. The remittance basis of taxation provided that persons would be taxed on their UK-source income and gains, but only on their non-UK-source income and gains to the extent they were actually remitted. This regime has been abolished now.

Introduction: The Government of Cyprus has recently proposed a series of tax amendments aimed at reducing the tax burden on households and businesses, …

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