Whether it is a foreign company, a permanent establishment, or double taxation: we support you with expertise in international tax law.
Internationally active companies face complex tax challenges: cross-border supply and service relationships, differing national regulations, double taxation agreements, and permanent establishment risks. Mistakes or uncertainties can be costly – in the form of back taxes, penalty interest, or reputational damage.
Moore TK offers specialized advice in international tax law – practical, structured, and far-sighted. Whether establishing foreign subsidiaries, optimizing existing structures, or assessing international business models for tax purposes, we support you with all questions relating to your cross-border tax strategy – with legal certainty, efficiency, and cost-effectiveness.
Analysis of cross-border activities to avoid or deliberately use permanent establishments
Tax-optimized group and participation models including withholding tax issues
Application of DTA regulations, withholding tax reduction, offsetting of foreign taxes
Tax regulations for expatriates, 183-day rule, home office setups abroad
Documentation, risk analysis & interfaces to transfer pricing
Global coordination with local tax experts – from a single source
Our project approach
International tax law requires clarity, experience, and forward-thinking. With Moore TK, you don't receive isolated solutions; instead, you receive integrated advice that combines tax, legal, and business aspects. Through our affiliation with the Moore Global Network, we are connected worldwide – while still remaining your personal local contact.
What our clients / partners / etc. say
"For me, working at Moore TK means exciting mandates, a strong team, and the opportunity to continuously develop myself."
"For me, working at Moore TK means exciting mandates, a strong team, and the opportunity to continuously develop myself."
"For me, working at Moore TK means exciting mandates, a strong team, and the opportunity to continuously develop myself."
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