Overseas Subsidiary Tax Structure Advisory

Structures for repatriating overseas subsidiary profits to headquartersWe design tax-saving strategies by purpose for dividends, royalties, and fees

Service Overview

Service Overview

Businesses that operate across different countries are involved in each country’s respective tax laws, corporate tax, withholding tax, transfer pricing and even foreign exchange reporting. An approach that reasonably manages tax burden and risk—taking into account each country’s tax laws and international tax laws—is required.

Our Principles

Operating Principles

We jointly review the client’s facts and circumstances, the purpose of the transaction, and the applicable tax laws and filing procedures to propose a practical, executable tax response.

Key Services

Key Services

  • Reviewing the tax impact of overseas subsidiary setup and operating structures
  • Reviewing holding company, operating company, and IP-holding company structures
  • Tax review by fund flow, including dividends, royalties, and service fees
  • Reviewing tax treaty applicability and withholding tax
  • Reviewing the filing and documentation framework for overseas subsidiary operations

Key business decisions often bring tax considerations, we work with you to review and assess options tailored to your goals.

Contact us