Simon Chan
Australian-based VRG member firm, Leadenhall, was engaged to prepare an allocation of the purchase price paid by Hammons over the acquired assets of BridgeClimb.
Case Study: How to determine appropriate arm’s length royalty rates for intellectual property under U.S. IRC § 482 for Transfer Pricing.
With a UK-defined-benefit structure heavily in deficit, VRG’s client was under pressure to address its current funding gap.
In support of its $7.8 billion acquisition of Groupe Danone’s global biscuit business, Kraft Heinz required a valuation for financial and tax reporting purposes.
Revisiting the outcomes of two high-profile tax evasion cases involving image rights.
Valuations in the U.S. are generally required around a transaction and can be grouped by needs for financial reporting, tax, or legal purposes, as well as for compliance or recurring regulatory purposes outside of a transaction.
When it comes to business combinations and asset acquisitions, Brazilian standards require the determination of the fair value assets and liabilities at their acquisition date.