International tax advice: tax issues across borders
Do you have questions in connection with international tax advice and cross-border tax matters? We have experts in international tax law, including a specialist consultant for international tax law.
This means you can entrust us with even the most difficult tasks. Other tax consultant colleagues who are less experienced in international tax law also make use of our expertise in international tax law.
For example, we prepare tax planning for internationally active companies and transfer pricing documentation. And advise in the run-up to tax audits. Or help with negotiations with the tax auditor, especially if a specialist auditor for foreign relations is called in. We tell you which criteria lead to the establishment of a permanent establishment. We clarify for you in which country income must be declared or taxed and whether there are ways of avoiding double taxation. And we will show you more tax-efficient alternatives if necessary.
Then you’ve come to the right place: we have excellent contacts with tax experts in many countries and can also help you across borders. On request, we can also coordinate several tax experts from different countries and act as your main point of contact. For example, if you want to invest abroad with a German company and are looking for a suitable local advisor. Or if you want to invest in Germany as a foreign company. In this way, you can obtain information about (tax) law and business practices in other countries. You can use it to open up further regional markets or find out when you have to register for tax purposes or submit a tax return in another country.
We are a member of GGI, one of the world’s leading alliances of independent law firms in the field of auditing, tax and legal advice. This means that we can call on the expertise of other members if required or put you in touch with an expert for international tax advice from one of the more than 600 member firms in around 125 countries. GGI (GGI Global Alliance AG) is a recommendation association and not a network within the meaning of § 319 b HGB.