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Perkin-LeFavre & Associates has sustained a reputation for our experience and expertise in international tax matters. Our certified public accountants and attorneys are well versed in critical international tax areas positioning us as a leading firm for clients requiring not only tax planning but also the management consulting needed to coordinate the tax and operational aspects of the business. In addition to advising our clients, we are often retained by other accounting and law firms to provide tax advice to their clients.

 


 

 

 
  OUR SPECIALTIES  

Structuring Foreign Investments
We provide practical cross-border tax planning strategies on structuring U.S. owned investments in foreign markets. We understand our client’s specific business goals and objectives as they expand on a global basis and guide them through the complexities of cross-border tax laws and relevant business issues.

Anti-Deferral Tax Strategies
We can advise you with the deferral planning inherent in cross-border transactions. Deferral planning is one of the most important strategies utilized by U.S. multinationals and individuals to reduce their global effective income tax rate.
In general, the anti-deferral tax rules can apply when U.S. individuals, U.S. corporations, U.S. limited liability companies or partnerships composed of U.S. members or partners engage in foreign business or investment activities.

Structuring US Investments
We provide tailored inbound tax planning and compliance services to foreign companies and their U.S. subsidiaries. Our experienced international tax professionals assist clients in understanding and navigating through the complexities of U.S. tax laws impacting foreign-owned U.S. companies.

Mergers, Acquisitions, and Corporate Transactions
We assist clients on tax issues related to multi-national mergers and acquisitions (“M&A”). We represent purchasers, sellers, financing sources, management, and advisors in a wide variety of transactions, including equity and asset acquisitions of both entire companies and subsidiaries or divisions.

Transfer Pricing
We offer comprehensive transfer pricing studies that permit our clients to minimize tax exposure, defend their U.S. tax return positions, and develop efficient transfer pricing practices across borders. We understand transfer pricing, how it is treated by various tax jurisdictions, and “best practices” for managing global policies and procedures.


 

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