Awarded the 2018 Best Newcomer Firm of the Year in Europe by International Tax Review

Consulting

Transfer Pricing

Transfer Pricing

The increasing complexity of a company’s global footprint, coupled with the heightened scrutiny worldwide following the release of the Base Erosion and Profit Shifting (BEPS) Guidelines by the OECD, transfer pricing has arguably become the most contentious area of international tax.

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Supply chain

Value Chain

The current C-Suite focus toward transfer pricing and international tax strategy is unprecedented. With this high-stakes, high-risk issue, we have assisted numerous multinational companies who have been motivated to realign their tax strategy in sync with their business model or, in some cases, shift both the business and tax models into a new structure altogether to ensure that the economic reality of the value chain is reflected in the tax model during a transformational season for their company.

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Economics

APPLIED Economics 

We have the expertise to benchmark your business as a full enterprise, or use our transfer pricing and strategic tax insights to parse your company’s value chain and create a view as to whether “the sum of the parts is greater than the whole.” We have experience in using applied economics to create C-suite dashboards or to evaluate strategic decisions, such as divestitures as well as mergers and acquisitions.

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