I have been advising my clients on all transfer pricing issues since 2008. I cover the entire transfer pricing cycle. On the one hand, my focus is on the planning and conceptualization of cross-border transfer pricing models, often triggered by acquisitions, restructuring of business models or relocation of functions. On the other hand, I advise my clients on the documentation of transfer prices and the defense of transfer prices in tax audits and (preliminary) mutual agreement or arbitration proceedings.
I have spent the majority of my professional career in Germany, interrupted by a secondment to New York in 2011.