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.

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Our highly experienced team of lawyers, tax advisers and international tax experts advise our clients in corporate and private tax planning, offering a full service including filing of tax returns in various jurisdictions.