Due to the increasing and intensifying globalization of the markets, investments by domestic companies abroad are becoming increasingly important (outbound), as is investments by foreign companies domestically (inbound).

Companies are not only confronted with the extremely complex regulations of the respective home country, but also have to take into account the tax law of the foreign state as well as contractual issues (DTA) in cross-border activities.

European law is also playing an increasingly important role in the area of taxation, which must be observed.

Our services in the field of international tax advice

  • Preparation of tax returns for employees and private individuals with domestic and foreign income
  • Advice for tax non-residents (limited taxpayers, cross-border commuters)
  • Advice to non-resident taxpayers, especially artists and expatriates
  • Advising tax residents with foreign income
  • Topics of international inheritance tax law / cross-border gift and inheritance cases
  • Advice on taking up residence abroad or moving to Germany
  • Clarification of obligations in connection with withholding taxes for foreign private individuals and companies
  • International tax optimization
  • International inheritance tax optimization
  • Tax-optimized design of transfer pricing systems and licenses
  • Tax-optimized cross-border group financing
  • Sales tax issues in connection with cross-border goods and services

  • Preparation of tax returns for employees and private individuals with domestic and foreign income
  • Advice for tax non-residents (limited taxpayers, cross-border commuters)
  • Advice to non-resident taxpayers, especially artists and expatriates
  • Advising tax residents with foreign income
  • Topics of international inheritance tax law / cross-border gift and inheritance cases
  • Advice on taking up residence abroad or moving to Germany
  • Clarification of obligations in connection with withholding taxes for foreign private individuals and companies
  • International tax optimization
  • International inheritance tax optimization
  • Tax-optimized design of transfer pricing systems and licenses
  • Tax-optimized cross-border group financing
  • Sales tax issues in connection with cross-border goods and services

  • Preparation of tax returns for employees and private individuals with domestic and foreign income
  • Advice for tax non-residents (limited taxpayers, cross-border commuters)
  • Advice to non-resident taxpayers, especially artists and expatriates
  • Advising tax residents with foreign income
  • Topics of international inheritance tax law / cross-border gift and inheritance cases
  • Advice on taking up residence abroad or moving to Germany
  • Clarification of obligations in connection with withholding taxes for foreign private individuals and companies
  • International tax optimization
  • International inheritance tax optimization
  • Tax-optimized design of transfer pricing systems and licenses
  • Tax-optimized cross-border group financing
  • Sales tax issues in connection with cross-border goods and services

International tax advice

In the case of cross-border entrepreneurial activity, we advise on the choice of location as well as on setting up international, tax-optimized holding structures.

We support our clients in the tax optimization of cross-border capital flows, as well as with regard to cross-border restructuring and the design of the transfer pricing system. Another focus of our advice is the consideration of special topics of the Foreign Tax Act (AStG) as well as the topic of permanent establishment taxation.

If private individuals move from Germany to another country or move their residence to Germany or receive income from Germany, a tax review of the income, tax and inheritance tax aspects is required.

As auditors and tax consultants specializing in international tax law, we have many years of experience in actively advising companies and private individuals with cross-border activities and income, and we have an extensive network of tax experts who are familiar with the respective foreign legal system, so that we have one Take a holistic approach.

The international tax differential as well as the tax privileges to be found in different countries offer starting points for tax optimization. At the same time, there is a risk of disadvantageous tax implications in the event of a cross-border relocation of income streams or functions, as well as a relocation of the registered office or the departure and arrival of natural persons.