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Most companies today also operate in an international context. We support you comprehensively and effectively with international tax expertise for your operations abroad or if you, as a foreign company, are active in or wish to become active in Germany. Cross-border solutions become a decisive competitive advantage for your company.
Due to our membership of the international PKF network with more than 1,450 partners and 14,000 employees at 400 locations in 150 countries, tax specialists are available throughout the world and provide direct access to extensive specialist knowledge and information on current tax developments in the important business regions. In close cooperation with our experts on the spot, we work out customized solutions that represent a clear competitive advantage for your company.
A central topic for our specialists is efficient international tax planning that is aimed both at German companies with interests abroad and at foreign investors with activities in Germany. The determination of differences in tax systems and rates of tax provides scope for tax optimization, which can, for example, be implemented via holding, licensing and financing companies. In our concepts, issues of corporate structure play just as much a part as do loss exploitation, repatriation of profits and exit strategies.
At companies operating internationally, the transfer prices for internal supplies and services have a decisive effect on the tax rate. Frequently these prices are rigidly tested by the fiscal authorities or even questioned in their entirety. We support you with the development and documentation of transfer pricing models in line with the market and support you in enforcing them in relation to the fiscal authorities.
Despite the increasing virtualization of work, international secondments of employees within companies are still regularly encountered. Such secondments raise, both for the employer and for the employee, numerous questions regarding tax issues, starting from payroll accounting via hypothetical tax calculations as far as the submission of income tax returns in the host country. Moreover, secondment also has a social insurance-related dimension. Our specialists will be pleased to also support you with the solution of these problems.
Besides direct taxes, indirect taxes are increasingly gaining in importance in international business transactions, as an increasing number of states identify these as an additional source of revenue. For example, several Gulf states are planning to introduce turnover tax shortly. In China “business tax” has only recently been replaced by turnover tax. Even if these tax systems provide for a refund of the tax accrued at the respective preliminary step, compliance with the local registration, documentation and declaration obligations as a rule causes high expenditure and effort for the persons/entities liable to pay taxes. In the case of tax systems with a cumulative tax burden effect, further financial disadvantages threaten. These issues occur both in the case of intragroup transactions and in transactions with outside third parties. The specialists of our international network support you in minimizing the risks from indirect taxes and in meeting the local compliance requirements.