Atelierstraße 1, 81671 München
 +49897491480
info@chp-steuern.de

International Tax Law at CHP in Munich

For tax cases involving foreign countries, we advise a thorough review by our attorneys, tax law specialists and tax advisors. Our employees at CHP have many years of experience in providing tax advice with a foreign connection. In this regard, our firm also cooperates with tax consulting companies abroad, with whom we work in partnership. Our office is located in the Werksviertel in Munich. 

Campbell Hörmann PartG mbB | Icon | German companies with international dimension

Inbound

The term "inbound" refers to cases of a foreign taxpayer (= limited tax liability) with income from Germany. E.g. an international company based in Germany.

 

Our services Inbound: 

Transfer pricing
Double taxation agreements
Value added tax (VAT)
Tax audit
Consultants from our international network (Integra International)

Campbell Hörmann PartG mbB | Icon | International Companies based in Germany

Outbound

The term "outbound" refers to cases of a resident (= unlimited tax liability) with income from abroad. E.g. German companies with international income.
 

Our services Outbound: 

Transfer pricing
Double taxation agreements
Value added tax (VAT)
Tax audit
Prevention of exit taxation 
Consultants from our international network (Integra International)

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Do you have any questions about international tax law? Please feel free to contact us!

 

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Detailed information on international tax law 
 

Campbell Hörmann | Icon | VAT

Value added tax (VAT) 

Even small businesses are most likely to deal with international tax law in the area of sales tax. Intra-community deliveries and acquisitions, export and import as well as cross-border services open up further documentation and declaration obligations for your company. We also support you in questions of VAT registration in other EU countries and provide legally sound advice on all questions of domestic and foreign VAT.

 

Campbell Hörmann | Icon | Withdrawal taxation

Prevention of exit taxation

In the case of a departure from the Federal Republic of Germany or the transfer of assets abroad, the regulations of the Foreign Tax Act (AStG) / the departure taxation must often be observed. This has a considerable impact on other national tax laws and should definitely be discussed in advance during a consultation. 

Do you want tips on how to avoid exit taxation? Then contact us today!

 

Campbell Hörmann | Icon | Double taxation agreements

Double taxation agreements

As a company with its registered office in Germany, you are subject to unlimited tax liability, whereby your worldwide income is subject to taxation. If the state in which, for example, your permanent establishment or your real estate is located also claims a right of taxation, there is a risk of double taxation in several states. In order to counter this and to avoid excessive taxation, many countries have concluded so-called double taxation agreements (DTAs). Double taxation is avoided by assigning the right to tax a source of income to only one state or by providing for a credit of the tax of one state in the other state.

Are you interested in our International Network? Learn more about Integra International!

 

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