Tax Preparation Services

 

Accounting for and managing the domestic disclosure obligations of a foreign wholly owned subsidiary or related entity can be a complex and costly exercise if it is not managed correctly.

As global interactions continue to increase, tax authorities around the world are increasingly finding ways to levy more significant fines and penalties against corporate taxpayers who are not compliant with their domestic filing and disclosure obligations.

We prepare the full range of US business tax returns including:

As international tax experts, we are regularly engaged to act for privately owned multi-jurisdictional corporate groups. This means we have significant in country expertise in accounting for, and reporting of, foreign activity of domestically controlled corporations.

 
 

ADDITIONAL SERVICES WE CAN HELP YOU WITH

 
 

CORPORATE TAX RETURNS


Our experienced team will prepare and file your company tax return ensuring you meet your obligations and providing proactive tax management guidance.

 

PARTNERSHIP TAX RETURNS


We understand the unique taxation issues involved in a partnership. We will ensure you meet your compliance requirements and understand the impact of the partnership on the partners of the business.

 

TAX ADVISORY


Tax issues involve structuring, tax planning, payroll, accounts, income tax, state taxes, federal taxes, international taxes, succession planning and more. We provide proactive, tailored tax advisory services to really help your business grow.

 

ENSURE YOUR BUSINESS IS MEETING ITS OBLIGATIONS

Don’t let your tax obligations leave you with unexpected costs. Stay on top of your requirements by engaging our proactive, experienced team to work by your side.

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NEWS AND UPDATES

 

US Taxpayers given some Reporting Relief on certain Foreign Trust Investments


10th Mar 2020
Jurate Gulbinas

Section 6048 requires US taxpayers to make an annual report regarding financial or asset transfers in relation to the receipt of distributions from foreign trusts Taxpayers can be penalised if they...

 

Making a check-the-box election as a foreign corporation


4th Mar 2020
Jurate Gulbinas

This article relates to foreign business founders with an active business, who are moving to the US There is a risk that foreign earnings may be double taxed when your organisation is taxed as a US...

 

Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we discussed the ways in which US states themselves...

 

US Taxpayers given some Reporting Relief on certain Foreign Trust Investments


10th Mar 2020
Jurate Gulbinas

Section 6048 requires US taxpayers to make an annual report regarding financial or asset transfers in relation to the receipt of distributions from...

 

Making a check-the-box election as a foreign corporation


4th Mar 2020
Jurate Gulbinas

This article relates to foreign business founders with an active business, who are moving to the US There is a risk that foreign earnings may be...

 

Online Business with No Physical Presence May Be Liable for US Sales Tax


29th Nov 2019
Jurate Gulbinas

In our previous article on the topic of sales tax in September 2018, titled “Understanding Sales Tax in the US” Click here to read the post, we...