Dominic is co-head of the Tax Disputes practice at Slaughter and May, and advises a wide range of clients on the full range of contentious and non-contentious UK corporate tax issues.
His practice covers:
structuring and other tax aspects of M&A, joint ventures and other corporate finance transactions
tax enquiries and disputes, including EU tax State aid investigations
standalone tax advisory work, including group reorganisations, CFCs, transfer pricing, and the tax treatment of IP
Dominic is listed as a leading individual for Corporate Tax in Chambers UK, 2019. He is recommended for Tax Litigation & Investigations in The Legal 500, 2018 and is also listed in the ITR's Tax Controversy Leaders Guide 2018. Dominic has previously been named by the Tax Journal as one of their "40 under 40" leading young UK tax professionals and is listed for UK Tax in Legal Media Group’s Rising Stars 2017.
This publication aims to give readers a high-level overview of the principal transfer pricing rules in each country covered in the Review. Each chapter summarises the country’s substantive transfer pricing rules, explains how a transfer pricing dispute is handled, from initial scrutiny through to litigation or settlement, and discusses the interaction between transfer pricing and other parts of the tax code (such as withholding taxes, customs duties, and attempts to prevent double taxation).