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Contacts

Global
Palo Alto
John M. Peterson
+1 650 856 5538

Asia Pacific
Shanghai

Glenn DeSouza
+86 21 6105 5966
Tokyo
Ken Okawara
+81 3 5157 2965

Europe, Middle East & Central Asia
Amsterdam

Monique van Herksen
+
31 20 551 7555

Latin America
Mexico

Moises Curiel-Garcia
+52 55 5279 2992

North America
Chicago

Gregg D. Lemein
+1 312 861 8103
Dallas
Robert H. Albaral
+1 214 978 3044
Miami
Robert F. Hudson
+1 305 789 8906
New York
Marc M. Levey
+1 212 891 3944
Washington, DC
Richard Slowinski
+1 202 452 7025
Holly Glenn
+1 202 835 1679

Marketing & Business Development Team:
Global

Carine Clavier-Labarthe
+1 619 235 7713
Joanne Bayley
+44 20 7919 1286

Asia Pacific
Marianne Shaw
+852 2846 1078

Europe & Middle East
Sebastien Guelet
+44 20 7919 1276

Latin America
Maria Clara Ortega
+57 1 644 9595

North America
Carol Alexander
+1 312 861 8323


For More Information

Upcoming Event
ITR Global Transfer Pricing Forum 2008



Visit the main Tax Practice page.

Transfer Pricing
 
 
         
 
Baker & McKenzie is an acknowledged leader in global transfer pricing, documentation and advance pricing agreements. Click on the thumbnails above to view our Transfer Pricing ad series.
 
 
 
Transfer pricing has drawn the attention of taxing authorities worldwide. New rules, documentation requirements and tax penalties have been created to encourage enforcement and support and enhance audit functions. Their impact on a multinational company's financial statements, tax planning and management compensation programs can be overwhelming. The drain on internal resources to resolve these disputes can be of equal concern.

But creative transfer pricing approaches can help manage and minimize global tax rates. Company officials are realizing the importance of incorporating these policies into every aspect of their business, from acquisitions and divestitures to research and development activities.

More Than Any Other Law Firm

At Baker & McKenzie, our transfer pricing lawyers use their significant tax experience and industry knowledge to assist clients in addressing and minimizing tax and financial statement exposure. We have more attorneys dealing with transfer pricing matters on a daily basis than any other law firm.

Our expertise in transfer pricing gained recognition in the 2006 International Tax Review, for the second consecutive year, as the Transfer Pricing Firm of the Year in the Netherlands.

How We Can Help

Our industry experience is second to none, our capabilities diverse and substantial. They include:
  • Tax audits and IRS Appeals conferences for a wide range of US and foreign multinational clients.
  • Administrative resolution to complex transfer pricing cases in various jurisdictions.
  • Unilateral and bilateral advance pricing agreements for a variety of multinational countries.
  • Litigating transfer pricing cases in federal court when necessary.
  • Global transfer pricing policies for major multinationals.
  • Development and implementation of cutting-edge transfer pricing methods.
  • Creation of economic and empirical support for the transfer pricing policies to be established.
  • Preparation of Section 6662(e) transfer pricing documentation.
  • Collaboration with management of multinational companies regarding transfer pricing structures.
  • Multijurisdictional cost sharing, licensing and other arrangements for intangible property.
  • Establishment of holding companies to minimize tax burdens.