01Serve as the primary tax liaison to Treasury on funding, liquidity, capital structure, intercompany financing, leasing and hedging transactions.
02Lead EMEA tax planning initiatives for assigned jurisdictions.
03Lead transfer pricing governance for financing, treasury, leasing, intellectual property and other intercompany transactions.
04Lead and manage Advance Pricing Agreements (APAs) and Mutual Agreement Procedures (MAPs).
05Lead the EMEA Tax Controversy Program for assigned jurisdictions.
06Lead complex multi-jurisdictional projects involving Tax, Treasury, Finance, Legal and business leadership.
Requirements
↳10+ years of relevant experience in international tax, transfer pricing, tax planning and tax controversy within a multinational corporation, Big Four accounting firm and/or law firm.
↳Significant experience managing complex cross-border tax matters across multiple jurisdictions.
↳Strong experience in transfer pricing, OECD Guidelines and transfer pricing governance.
↳Degree in Law, Tax, Accounting, Finance, Business or a related discipline.
↳Master's degree or advanced professional qualification in Tax, International Tax or related field preferred.