International Tax
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Chief financial officers and tax directors of multinationals are operating in an environment of intense scrutiny and challenge. Transactions, inter-company pricing, supply chains, structuring and funding are increasingly under the spotlight. More than ever, executives are looking to align their global tax position with their overall business strategy, to be competitive and provide value to shareholders.
Our integrated team of international tax professionals helps you manage your business tax burden by uncovering opportunities, managing global tax risks and meeting cross-border reporting obligations. Our market-leading foreign tax desk network — a co-located team of highly experienced professionals from Baltic countries — has revolutionized the way we provide international tax services.
Using multidisciplinary teams we work with you to manage global operational changes and transactions, capitalization and repatriation issues, transfer pricing and tax efficient supply chain management – from forward planning, through reporting, to maintaining effective relationships with the tax authorities. Our talented people draw on their global insights and perspectives to help you build proactive and integrated global tax strategies that address the tax risks of today’s businesses and help achieve sustainable growth. It’s how Ernst & Young makes a difference.
Our services include:
- Cross Border Corporate Income Tax Advisory
Prospective planning and tax structuring, advice with respect to reporting of a company’s cross border tax position either from a tax authority or financial reporting standpoint, assistance in managing business tax burden by uncovering opportunities, managing global tax risks and meeting cross-border reporting obligations.
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- Transfer Pricing Documentation and Advisory
Assisting companies with planning their transfer-pricing strategies, limiting their tax exposure, and defending their position and practices, documentation requirements and streamlining their analytical processes, which can result in a consistent documentation approach, transfer pricing controversy planning and resolution during the examination, appeals with local and foreign taxing authorities.
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