Tax Controversy Leaders Guide 2014 – nominations open

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Tax Controversy Leaders Guide 2014 – nominations open

Who are the leading tax controversy advisers around the world? Nominate now.

Taxpayers’ need for advice from professionals with expertise in tax disputes is more important than ever. The case for this is clear and recent developments including government and authority aggression – prompted by the desire for greater revenues – have only served to increase the importance of quality advice.

The rise in the prominence and popularity of alternative dispute resolution (ADR) in tax cases has also brought new challenges in terms of the skills taxpayers are expecting of their external advisers. Taxpayers need, and indeed expect, their advisers to have a skill set that encompasses litigation and mediation, and everything in between.

In an environment where all transactions are facing increased scrutiny, it is vital taxpayers have access to practitioners with experience in all stages of controversy, including pre-audit, audit, administrative appeals and litigation.

For the past three years, International Tax Review has produced its guide to the leading tax dispute resolution lawyers and advisers around the world to help multinational companies seeking the best tax controversy advice available. The first three editions of Tax Controversy Leaders have received excellent feedback from taxpayers who see it as a useful tool in finding the right disputes advice.

International Tax Review is committed to providing a comprehensive global tax disputes guide, recognising the leading controversy advisers, and will publish a fourth edition of Tax Controversy Leaders in July 2014. We want your valuable input on selecting the leaders in each jurisdiction and we invite you to take part in the research process.

Methodology

Inclusion in Tax Controversy Leaders will be based on a minimum number of nominations received from peers and clients, along with evidence of outstanding success in the last year. Firms and individuals cannot pay to be recommended in this guide.

To take part in the research process and ensure your firm is considered for the guide, please complete this form and return it by email to Matt Gilleard at the address below.

You may nominate tax controversy advisers from your own firm providing you nominate an equal number of advisers from other firms.

When nominating advisers, please consider the following:

- Technical ability;

- Achievement of client objectives;

- Seniority in own organisation;

- Leadership in policy development with government; and

- Profile in representative associations.

Download the submission form here.

Please return all forms to Matthew Gilleard, Corporate Tax Editor at International Tax Review, by April 19 2014.

Email: mgilleard@euromoneyplc.com

Tel: +44 207 779 8047

more across site & shared bottom lb ros

More from across our site

The president described it as ‘one of the most important cases in the history of our country’; in other news, Portugal established a VAT group regime
Clients are facing increased TP audit scrutiny in Hungary. DLA Piper Hungary is therefore using AI and advanced analytics to augment its advice, the firm’s head of TP says
Simpson Thacher & Bartlett and MinterEllisonRuddWatts were among the firms that advised on the deal
AI will mean fewer entry-level roles in tax but also the emergence of new jobs, according to tax expert Isabella Barreto
As World Tax unveils its much-anticipated rankings for 2026, we focus on standout performances by PwC, KPMG and Deloitte across the Asia-Pacific region
The partnership model was looking antiquated even before the UK chancellor’s expected tax raid on LLPs was revealed. An additional tax burden may finally kill it off
The US’s GILTI regime will not be forced upon American multinationals in foreign jurisdictions, Bloomberg has reported; in other news, Ropes & Gray hired two tax partners from Linklaters
APAs should provide a pragmatic means to agree to an arm's-length outcome for an Australian entity and for the ATO, the tax authority said
Overall revenues and average profit per partner also increased in the UK, the ‘big four’ firm revealed
Increasingly complex reporting requirements contributed towards the firm’s growth in tax, it said
Gift this article