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.

Strategically located across the globe with offices at key locations in the Americas, Europe and Asia, we have deep technical knowledge of tax laws in multiple jurisdictions and on-the-ground experience with, local tax authorities worldwide. We represent clients across multiple industries, including life sciences, media and entertainment, telecom, technology, energy, industrial and consumer products, pharmaceuticals, financial and banking services, insurance, funds and asset managers, real estate, and transportation.

Our team has been consistently ranked Tier 1 for International Tax by Legal 500 US. We are also consistently recognized as a leading firm and transfer pricing advisor, having been named several times Transfer Pricing Firm of the Year by International Tax Review. Many of our lawyers have significant government experience at the US Internal Revenue Service (IRS), where they participated in Competent Authority and treaty negotiations, litigated various transfer pricing issues and contributed to the development of several regulatory and procedural projects.

Our lawyers are thought leaders, frequently writing and speaking on emerging issues and developments related to international tax and transfer pricing. Our Best Methods blog delivers timely analysis of the latest developments in the world of transfer pricing, including new guidance, legislative and regulatory changes, and cases and other developments from the United States, the Organisation for Economic Co-operation and Development (OECD), and tax jurisdictions around the globe.

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