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  • 분야별
  • 가나다순
즐겨찾기메일프린트북마크북마크리스트    확대축소

E02_E

International tax law generally entails more controversial and sensitive matters than general domestic tax law. Only confirmed tax experts with in-depth professional knowledge and rich international experience can handle these more delicate issues. We have the required expertise to advise on a broad range of international tax issues, including international trade, transfer pricing and international tax strategies.

  • Overview 

    Advice on International Transactions and Tax Treaties

    We advise on tax issues arising in the context of international transactions (such as the withholding of taxes in cross-border transactions, and payment of value-added tax), in close cooperation with our legal advisory colleagues.

     

    Transfer Pricing Policy and Advance Approval of Transfer Prices

    As Korean tax authorities strengthen the level of tax investigation on transfer pricing of multinational companies, it becomes more important to determine proper transfer prices not only for tangible goods but also for intangible goods such as royalties, management fees and other fees. Our tax team, which includes CPAs with hands-on experience in transfer pricing matters and experts who were responsible for drafting the regulations on transfer pricing or conducting transfer pricing audits at the National Tax Service, provides various services including: setting a transfer pricing policy; collecting and analyzing information required to demonstrate that the method of determination of the transfer price chosen by a company is the most suitable; preparing reports on transfer pricing; and advising taxpayers in connection with transfer pricing issues including Advance Pricing Agreements (APA).

     

    International Tax Strategies

    When a Korean company advances into overseas markets or a multinational company enters the Korean market, it is important to set up a comprehensive international tax strategy covering the following issues: type of business; type of internal trading among affiliated companies; method of determining transfer prices; and global strategy for minimizing tax burdens on affiliated companies. We assist our clients in establishing international tax strategies with a long-term perspective.

     

    Customs Related Services

    With licensed customs consultants with a wealth of practical experience gained from their years of service at the National Customs Service working in close and seamless coordination with our attorneys, we advise on the full range of customs law matters, including: determination of the dutiable price of imported goods; classification of items; and investigation of foreign currency transactions.

Experiences

We successfully advised a number of domestic and foreign enterprises on critical issues in the areas of international trade and investment, such as permanent establishment, beneficial ownership and withholding taxes.

We prepared the transfer price report on tangible goods imported by a Korean company from a foreign affiliated company and royalties and management fees payable to the foreign affiliated company.

We regularly perform transfer pricing studies for Korean subsidiaries of foreign companies.

We reviewed tax issues arising from a Korean company’s acquisition of a Chinese company and presented a method for minimizing the tax burden.


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