Our tax attorneys stand ready to advise companies on the tax implications of corporate mergers and acquisitions, including corporate restructurings, consolidations and spinoffs, to minimize tariff impacts. Our team is also uniquely positioned to assist companies in evaluating the transfer pricing strategies and policies for price-setting of cross-border transactions between affiliates for potential tariff mitigation. This includes reviewing and analyzing tax issues associated with supply chains, assisting with corporate policies in documenting transfer pricing decisions and policies, and identifying opportunities to restructure intercompany transactions.
Moreover, our tax attorneys regularly advise clients on the business and tax impacts of establishing a U.S. subsidiary, including tax optimization through transfer pricing policies and tax treaty benefits, reduced cost and increased operational control, and easier access to U.S. markets.