Complex, country-specific rules – that's the challenge
As companies become increasingly international, and the resulting interplay of legal regulations domestically and abroad make working with taxes much more complex, it's no longer enough to simply keep up with national laws.
Whether foreign tax law, double taxation treaties, regulations in the tax code, income tax or corporate tax law – the many regulations in international tax laws should prevent Germany being charged taxation due to foreign activities. And international rules for profit assignment have been significantly revised and tightened up as part of BEPS actions. These requirements demand experienced specialists.
Years of experience in cross-border tax planning – that's our solution
To give you a sound consulting service, we first consider your business branches and planned future structure to analyse existing relationships. Then our experts in international tax law support you. In many cases, they have decades of experience in assisting international groups in developing optimal solutions and resulting positive tax effects for their companies. We will always show you how to make the best possible use of structural opportunities, and in particular how to fulfil the tougher requirements related to pre-existing documentation rules and notification obligations. We also help you with extensive legislative changes to prevent tax sanctions.
A network of skilled consultants - that’s our ace in the hole!
Our global HLB network extends across more than 150 countries. It can find and implement tax-optimised structures for your company at any time. And in the case of planned activities in Germany, too, our powerful HLB network investigates the resulting effects on impacted foreign countries, and will find the right tax structure for you. If you have outsourced your commercial department to our company, your company’s annual auditor can also rely on our high-quality standards (certified under PS951 Type 2 and ISAE 3402 Type 2). This saves you effort, time and costs.