CORIT Advisory is an independent boutique tax advisory firm. Our dedication is to provide top tier tax advisory services with a relentless focus on quality and technical competences. Our finest ambition is to assist businesses address, manage and mitigate tax risks in a rapidly changing global environment.
To meet this ambition, we strive towards obtaining a true understanding of your business, your strategy, your needs and being your trusted advisor and business partner. In addition, we offer a unique combination of practical and applicable tax advisory services with the knowledge and insight of academia. We transform academic knowledge into practical solutions.
The core values of CORIT Advisory are:
– clear communication
– quality and technical competences
– accessibility and flexibility
Bjørnholm Law is a highly specialized boutique law firm. We assist in disputes with the Danish tax authorities, both prior to litigation and then throughout the appeals process, including where necessary employing mutual agreement procedures. Further, we offer advice on international taxation.
We assist both businesses and individuals in controversies with the Danish tax authorities. We provide advice from when the case is initiated by the Danish tax authorities until it is concluded, whether by agreement with the tax authorities or after an appeal process to the Danish courts and/or the European Court of Justice. We also assist with obtaining binding advanced rulings and applications to utilise mutual agreement procedures. Away from controversies, we also give strategic tax advice in particular with respect to cross-border tax issues.
That a case is winnable does not automatically entail that it is won. Bjørnholm Law is a leading firm when it comes to winning cases. This is because we are thorough, we form a clear strategy for the case, and our business is focused on tax controversies. We build excellent working relations with other advisors involved in our cases. All these factors ensure that the arguments presented are to the point and well considered.
We are currently involved in several transfer pricing disputes at all levels of the process and concerns issues such as business restructurings (closing businesses and transforming from fully fledged to limited risk), royalties and employee secondments. We are handling cases at the tax authority audit stage, cases at the administrative appeal stage, court cases and cases under mutual agreement procedure. Aside from transfer pricing the issues at stake in our current caseload include beneficial ownership; deduction of business expsenses, deduction of disgorgements and the treatment of trusts.