Overseas expansion & structuring +

Advising on international expansion, group structuring, and cross-border operating models to manage tax leakage and compliance risk.

  • Subsidiary vs branch considerations
  • Governance and substance
  • Profit repatriation planning
When you should contact us: If you are entering a new country, hiring overseas staff, or setting up local operations.
Transfer pricing advice +

Helping groups implement practical, defensible transfer pricing policies for related-party transactions aligned with OECD principles.

  • Intercompany service fees & management charges
  • IP licensing and royalty arrangements
  • Intra-group loans and funding
When you should contact us: The UK requires this for certain sized groups, but many overseas jurisdictions require it at much lower thresholds. If you are worried about transfer pricing, or transacting with overseas related parties and haven’t got a transfer pricing policy in place.
Permanent establishment risk +

Assessing whether overseas activity creates a taxable presence and what that means for filings and profit attribution.

  • Overseas employees and sales activity
  • Agents negotiating or concluding contracts
  • Projects that extend beyond short-term thresholds
When you should contact us: If you are moving overseas, especially for directors or key personnel, opening offices in another country, or beginning to employ staff overseas.
Double tax treaties & withholding taxes +

Reviewing treaty positions and managing withholding tax exposure on cross-border payments.

  • Interest, royalties, dividends
  • Treaty relief applications and documentation
  • Practical approaches to avoid tax leakage
When you should contact us: If you are paying interest to overseas companies or individuals and not withholding tax, you should check the position.
HMRC Investigations +

Helping companies to get clarity & efficient outcomes when dealing with HMRC investigations.

  • Managing risks and ensuring HMRC use their powers correctly
  • Accelerate settlements & get certainty of treatment
  • Mitigate penalties & protect personal liability of directors
When you should contact us: If you have an on-going HMRC investigation, or receive a letter we’re happy to look at how we can help.

How we can help


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