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TP Minds West Coast
December 4 - 5, 2024
Hyatt Regency San FranciscoSan Francisco

Mayer Brown


Mayer Brown’s International Tax & Transfer Pricing team advises clients on a full range of international tax matters, including complex multi-jurisdictional transactions, cross-border tax planning, and transfer pricing structuring and disputes. Our Transfer Pricing team is composed of lawyers, including those with significant experience in the US government, who are devoted almost exclusively to transfer pricing matters, as well as a Ph.D. economist. Together, the team brings to bear legal, economic and technical capabilities that adds value for clients across a broad spectrum of projects. In addition to our work representing clients in audits, administrative appeals and litigation, we are known for employing innovative techniques in advising clients on transfer pricing structuring, negotiating US and foreign unilateral and bilateral Advance Pricing Agreements (APAs), and handling competent authority matters. We also perform extensive work to help clients comply with the OECD’s new base erosion and profit shifting (BEPS) measures, country-by-country reporting requirements and other tax rules around the world.

We're bringing you

  • BEPS Pillar 2, GloBE Rules, and its Implementation

  • Current Trends in Transfer Pricing Controversies