Professional background
I deal with transfer pricing and international taxation, with a particular focus on defining and implementing transfer pricing policies consistent with the operational and functional profile of multinational groups, in line with OECD guidelines and local regulations.
My work includes analysing the management, organisational and tax characteristics of companies, as well as identifying the main value drivers within the value chain. I assist clients in preparing transfer pricing documentation and economic analyses relating to intra-group transactions, ensuring compliance with international standards and the specific requirements of individual countries.
I have gained experience in the valuation of companies and individual assets, with a particular focus on intangible assets such as trademarks, patents, software and proprietary technologies. I assist clients in identifying the role these assets play in the value creation process and in assessing the related tax benefits.
I have participated in several procedures concerning the quantification of contributions to R&D activities and the allocation of returns deriving from the economic exploitation of intangible assets, ensuring alignment with both domestic tax relief schemes and international principles.
I advise clients of all sizes, including large multinational groups, on complex cross-border tax issues. I have developed particular expertise in the IT, luxury goods, pharmaceutical, media & entertainment, construction materials, consumer goods, fashion, insurance and manufacturing sectors.