A&M Taxand Managing Director Marc Alms was recognized by his peers among Top 30 Transfer Pricing practitioners in a poll by Expert Guides Best of the Best USA 2020. Mr. Alms focuses on the integration of transfer pricing policies following a merger or other business restructuring event, which may include global transfer pricing planning and policy development relating to the development and exploitation of intellectual property rights.
With more than 20 years of experience assisting both public and privately held clients, Mr. Alms has led engagements in planning and documentation of transfer pricing policies, in obtaining advance pricing agreements, and in assisting with competent authority for multinational corporations across a broad range of industries. He has assisted clients with the valuation of intellectual property rights for tax purposes, the establishment of cost-sharing arrangements, and the defending of such policies before the IRS and other revenue authorities.
Alvarez & Marsal Strengthens Tax Transformation Capabilities with Longview Tax by insightsoftware
June 18, 2026
The strategic implementation partnership expands A&M's Tax Technology and Transformation capabilities, reinforcing its commitment to helping organisations modernise their tax functions in response to increasing regulatory complexity
Indonesia’s Administrative Framework for Pillar Two Implementation
June 17, 2026
Indonesia’s new PER-6/PJ/2026 regulation establishes the operational framework for Pillar Two, bringing new compliance obligations for multinational groups.
Game-Changing Enhancements to Strengthen Hong Kong’s Position as a Leading Asset and Wealth Management Hub
June 12, 2026
The Hong Kong Government gazetted the long-awaited Inland Revenue (Amendment) (Preferential Tax Regimes for Funds, Family-owned Investment Holding Vehicles and Carried Interest) Bill 2026 (the “Bill”) on 12 June 2026. The Bill proposes enhancements to the existing preferential tax regimes for funds, family owned investment holding vehicles (“FIHVs”) managed by single family offices and the carried interest concession.
Game-Changing Enhancements to Strengthen Hong Kong’s Position as a Leading Asset and Wealth Management Hub
June 12, 2026
The Hong Kong Government gazetted the long-awaited Inland Revenue (Amendment) (Preferential Tax Regimes for Funds, Family-owned Investment Holding Vehicles and Carried Interest) Bill 2026 (“2026 Amendment Bill”) on 12 June 2026. The 2026 Amendment Bill introduced positive enhancements to the existing preferential tax regimes for funds, family owned investment holding vehicles (“FIHVs”) managed by single family offices, and carried interest.