Argentina

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

Argentina

gil-roca.jpg

 

Eduardo Gil Roca

PwC

Bouchard 557

C1106ABG – City of Buenos Aires

Argentina

Tel: +54 11 4850-6728

Email: eduardo.gil.roca@ar.pwc.com

Website: pwc.com/taxcontroversy

Eduardo is lawyer graduated from Universidad de Buenos Aires (1996) and a public accountant graduated from Universidad de Belgrano (1992). He joined the firm in 1993. In 2008 he was appointed as partner in charge of the tax and legal department of PricewaterhouseCoopers.

He has taken postgraduate courses in both Argentina (Universidad de Buenos Aires, magister in law and economics) and Spain (Instituto de Estudios Fiscales, Madrid, tax criminal law).

In the academic field, he is head professor of Universidad de Ciencias Empresariales y Sociales (UCES) as well as in Universidad de Belgrano.

He is a member of the Argentine Association of Tax Studies.

He has written several articles on tax issues in both local and international media.

He is a permanent lecturer in the 'Training Sessions on Tax Professional Practice', organised by the Professional Council in Economic Sciences and in courses organised by PricewaterhouseCoopers.

He has led the tax litigation practice of PwC Argentina since 2008.

Eduardo has a broad experience in the design and management of legal strategies for highly-complex tax cases and has acted in many leading cases the decisions of which were rendered by the Argentine Supreme Court of Justice and the Tax Court. The cases resolved by the Supreme Court include: tax deductions of tax assessments (Scania Argentina), deductions of bad debts (BBVA Banco Francés), VAT on interest on the purchase of shares (Chryse), tax exemptions for welfare organisations (Fundación Perez Companc), and tax-free reorganisations (International Engines). The cases resolved by the Tax Court include: deduction of interest on loan (Swift), transfer pricing relating to financial transactions (Ericsson), transfer pricing relating to exports (Laboratorios Bago, Nobleza Piccardo and Toyota), among many others.

pwc-150.gif

Mariano Ballone

Teijeiro & Ballone

Martin Barreiro

Baker & McKenzie

Enrique Guillermo Bulit Goni

Bulit Goni & Tarsitano

Valeria Cardinale

KPMG

Marcelo Castillo

KPMG

Horacio Garcia Prieto

Marval, O'Farrell and Mairal

Gloria Gurbista

Teijeiro & Ballone

Jorge Hector Damarco

Bruchou, Fernandez Madero & Lombardi - Taxand Argentina

Liban Kusa

Bruchou, Fernandez Madero & Lombardi - Taxand Argentina

Alvaro Luna Requena

Luna Requena & Fernández Borzese Abogados

Ruben Malvitano

EY

Santiago Montezanti

Estudio Beccar Varela

Susana Camila Navarrine

Asorey & Navarrine

Luis Marcelo Nunez

Perez Alati, Grondona, Benites, Arntsen & Martinez de Hoz

Juan Manuel Soria Acuna

Rosso Alba, Francia & asociados

Alberto Tarsitano

Bulit Goni & Tarsitano

Miguel Teson

Estudio O'Farrell

Guillermo Teijeiro

Teijeiro & Ballone

more across site & shared bottom lb ros

More from across our site

Identifying who will bear the costs and concerns around confidentiality are issues yet to be resolved, advisers say
As multinationals embed tax technology into their TP functions, a new breed of systems – built on multi-model databases – is quietly transforming intercompany pricing logic
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
Gift this article