Tax Dispute Resolution

Tax Dispute Resolution

Preventing disputes before they arise and successfully resolving challenges by tax authorities.

Preventing disputes before they arise resolving challenges by tax authorities.

Preventing disputes and resolving challenges

Increased pressure on tax authorities to generate revenue has resulted in a growing number of examinations of returns and expanded audit activity, across all jurisdictions and types of tax. Frequently, this can mean significant adjustments with increased penalty potential.

When considering an upcoming examination, companies must consider a number of critical questions including overall preparedness for the examination, and appropriateness of documentation. And, if you have already been contacted, or an assessment has already been made, how will you resolve it?

 

We work collaboratively with you

Our Tax Dispute Resolution professionals have assisted companies around the world in preventing, preparing for and responding to challenges by tax authorities.

Working collaboratively with you before, during, and after the tax examination process, we can save you time and potentially costs by assisting you in the following areas:

  • Tax examination risk analysis
  • Documentation preparation
  • Tax return disclosures
  • Information reporting and tax withholding requirements
  • Official requests for information
  • Appeal processes, mediation and arbitration
  • Penalty and interest mitigation

 

What sets us apart:

When working with us, you'll come to realize what sets us apart. We believe you will benefit from our: 

  • Industry knowledge: Our dispute resolution teams have extensive knowledge of the complex procedures followed by global revenue authorities.
  • Global connectivity: We assist on all sides of the dispute to help ensure consistency of argument and position.
  • Full-service approach: We embrace a side by side and end-to-end approach to working with clients.

 

To learn more, download our brochure.   

Some or all of the services described herein may not be permissible for KPMG audit clients and their affiliates.

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