US INBOUND TAXATION

For many the United States remains the land of opportunity. But it's also the land of incredibly complex inbound investment regulations. So, what's the best way to start, from a tax perspective? Subsidiary? Branch office? Partership? Joint venture? If you are asking yourself questions like this, we certainly have the answers. Now.

black_dot  Deciding which US corporate structure makes the most sense from a tax perspective - subsidiary, branch, or partnership/joint venture
black_dot  Deciding on how best to capitalize your entity (debt, equity or a combination of both), including the use of tax-efficient strategies such as double-dip structures
black_dot  Preparing and managing any US Federal and State and local tax filings
black_dot  Setting up and registering your business with the relevant State and local tax authorities
black_dot  Assisting in the creation of an overall transfer pricing strategy that complies with US and local law regulations
black_dot  Managing your company’s overall tax burden and enhancing after-tax cash flow
black_dot  Working with UK and other tax advisers to minimise global tax costs
square  Tax-efficient structuring
square  Funding of Investments
square  US Corporate Tax Compliance Services
square  FAS 109 and FIN 48 Assistance
square  M&A Services
square  Cash Repatriation Optimization
square  ITINs and US Withholding Tax Compliance
square  Use of Double Tax Treaties