Dominic Robertson advises a wide range of clients on all areas of UK corporate tax law. He is co-head of the firm’s tax disputes practice. Dominic’s expertise 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; and standalone tax advisory work, including group reorganisations, CFCs, transfer pricing and the tax treatment of IP.
The Transfer Pricing Law Review provides a high-level overview of the main transfer pricing rules in key jurisdictions worldwide. Each chapter summarises the relevant 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).