In an increasingly globalized economy, characterized by complex international regulations, evolving tax policies, and heightened enforcement by tax authorities, staying abreast of the business implications is the key. Therefore, companies with a footprint stretching across multiple borders require a comprehensive international tax strategy to address the aforesaid challenges.
Our International Tax team assists clients with managing local and foreign taxes efficiently and effectively. We advise clients on international tax matters arising from business operations and transactions, repatriation, and foreign tax credit planning, to optimize their tax positions, ensure compliance, and manage potential risks effectively. Our expertise helps companies to manage the complexities of multiple tax systems and supranational regulation around the world. We offer tax advisory services to mid-market, larger corporate, global, and local clients in major metropolitan markets across APAC, ensuring no audit-based conflicts of interest. We provide the following international tax offerings:
- Tax planning and strategy
- International tax compliance and reporting
- International M&A
- Operating model design and optimization
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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.
A&M Tax Talks: Tax Policy Updates
June 11, 2026
The Tax Policy and Controversy (TPC) group at A&M Tax brings forward expert perspectives on the key developments shaping global tax policy.
OECD’s Proposed Revisions to Chapter VII: Reframing the Transfer Pricing Analysis of Intra-Group Services
June 11, 2026
Transfer Pricing Update: OECD Chapter VII proposes revised guidance on intra-group services, accurate delineation, benefit test, method selection, and documentation.