Dr Peter A Wilson Email and Phone Number
Dr. Peter Antony Wilson, is a career global taxation, BRICS, BEPS, Digital taxtion, Tax Policy and tax information exchange (TIE) specialist adviser. He has lived and worked in Sydney (Australia), London (United Kingdom), New York, NY, (USA) and now Dubai (UAE). He wrote his PhD at Queen Mary, University of London on ‘BRICS and International Tax Law’ (graduating June 2017) which was published by Wolters Kluwer as No 61 of the 'Series on International Taxation', January 2018. The Thesis addresses tax policy, tax avoidance, exchange of information and anticipates the effects on the level of FDI into the BRICS were they to align their global tax policy with that of the developed world. Peter combines professional experience including as an EY international tax partner in Sydney, London and New York and a PwC international tax partner in London with senior corporate experience as an in house tax counsel within a London Investment Bank, a Sydney natural resources company and niche global tax advisory firms. Dr. Peter Wilson advises clients on a wide range of cross border taxation issues plus CRS and FATCA matters using his academic, professional and client expertise gathered from more than 37 years’ experience based in four different global jurisdictions and engaging with a range of institutions, substantial trading companies and UHNWIs. As well as assisting clients arranging their ( financing, refinancing, acquisitions, restructure) transactions, structures and behaviour so they comply with domestic and cross border tax laws, he assists clients accessing DTC benefits, including US tax issues and resolving tax disputes and advises on tax policy and family offices.
Pb First Fz-Llc Uae
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Global Taxation, Brics, Beps, Digital Taxation, Tax Policy And Tie SpecialistPb First Fz-Llc UaeDubai, Ae -
Global Taxation, Brics, Beps, Digital Taxation, Tax Policy And Tie SpecialistPb First Fz-Llc Uae Jan 2018 - PresentUnited Arab EmiratesIn this role I provide Global Taxation and CRS advice to (1) multinational privately owned corporations, (2) ultrahigh net worth individuals, (3) family investment entities and (4) family members involved in a financial remedy. I advise whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving two or more countries taxation laws was likely to be viewed by a revenue authority as tax avoidance or tax evasion. Tax laws regularly advised on include those in the BRICS, EU Member States, the Americas, ASEAN and related countries and concepts regularly featuring in the advice include Transfer Pricing, Thin capitalisation, Controlled Foreign Corporations, Bilateral and Multi-lateral double taxation conventions, automatic and on request exchange of information. I also assist clients challenged by a revenue authority in explaining the transaction, structure or behaviour. -
Global Taxation, Brics And Tie HeadSimmons Gainsford, Uae Dec 2016 - Dec 2017United Arab EmiratesIn this role I provided Global Taxation and CRS advice to (1) multinational privately owned corporations, (2) ultrahigh net worth individuals, (3) family investment entities and (4) family members involved in a financial remedy. I advised whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving two or more countries taxation laws was likely to be viewed by a revenue authority as tax avoidance or tax evasion. Tax laws regularly advised on include those in the BRICS, EU Member States, the Americas, ASEAN and related countries and concepts regularly featuring in the advice include Transfer Pricing, Thin capitalisation, Controlled Foreign Corporations, Bilateral and Multi-lateral double taxation conventions, automatic and on request exchange of information. I also assisted clients challenged by a revenue authority in explaining the transaction, structure or behaviour
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Global Taxation, Brics And Tie -HeadSimmons Gainsford Group Apr 2014 - Nov 2016London, United KingdomIn this role I provided Global Taxation and CRS advice to (1) multinational privately owned corporations, (2) ultrahigh net worth individuals, (3) family investment entities and (4) family members involved in a financial remedy. I advised whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving two or more countries taxation laws was likely to be viewed by a revenue authority as tax avoidance or tax evasion. Tax laws regularly advised on include those in the United Kingdom, BRICS, EU Member States, the Americas and and concepts regularly featuring in the advice include Transfer Pricing, Thin capitalisation, Controlled Foreign Corporations, Bilateral and Multi-lateral double taxation conventions, on request exchange of information. I also assisted clients challenged by a revenue authority in explaining the transaction, structure or behaviour. -
International Tax AdviserHaines Watts Sep 2011 - Mar 2014London, United KingdomIn this role I provided international tax advice to (1) UK multinational privately owned corporations and (2) family investment entities. I advised whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving the UK and another country's taxation laws was likely to be viewed by the UK or another revenue authority as tax avoidance or tax evasion. Tax laws regularly advised on include those in the BRICS, EU Member States and related countries and concepts regularly featuring in the advice include Transfer Pricing, Thin capitalisation, Controlled Foreign Corporations, Bilateral and Multi-lateral double taxation conventions, on request exchange of information. I also assisted clients challenged by a revenue authority in explaining the transaction, structure or behaviour. In this role I worked as a member of the firm's London team -
Global Tax-HeadGateway Partners Group Aug 2008 - Aug 2011London, United KingdomIn this role I provided international tax advice to (1) UK and Australian multinational privately owned corporations and (2) family investment entities. I advised whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving the UK and or Australia was likely to be viewed by HMRC or ATO as tax avoidance or tax evasion. Tax laws regularly advised on include those in the United Kingdom, Australian, EU Member States and related countries and concepts regularly featuring in the advice included Thin capitalisation, Controlled Foreign Corporations, Bilateral double taxation conventions, on request exchange of information. I also assisted clients challenged by HMRC or by ATO in explaining the transaction, structure or behaviour.
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Partner Taxation-HeadGateway Partners Group Feb 2004 - Jul 2008Sydney, AustraliaIn this role I provided international tax advice to (1) Australian multinational privately owned corporations and (2) family investment entities. I advised whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving the Australian or another country's tax law was likely to be viewed by ATO or the other country as tax avoidance or tax evasion. Tax laws regularly advised on include those in Australia, Russia, EU Member States and related countries and concepts regularly featuring in the advice included Thin capitalisation, Controlled Foreign Corporations and Bilateral double taxation conventions. I also assisted clients challenged by ATO in explaining the transaction, structure or behaviour
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Global TaxationUnited Business Services Group, London Jan 2001 - Jan 2004London, United KingdomIn this role I provided international taxation advice to a company, based in Ireland which provided outsourcing services in the pensions sector
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Head Eu Tax Based FinancingPricewaterhousecoopers Sep 1996 - Jan 2001London, United KingdomIn this role I provided international tax advice to multinational corporations. I advised whether the tax risk likely to arise were they to enter into a transaction ( financing, acquisition, divestitures), structure or behaviour involving multi-country tax laws was likely to be viewed by a revenue authority as tax avoidance or tax evasion. Tax laws regularly advised on include those in the United Kingdom, Australia, United States of America, EU Member States and related countries and concepts regularly featuring in the advice included Thin capitalisation, Controlled Foreign Corporations and Bilateral double taxation conventions. I also assisted clients in implementing the financing and acquisition/divestiture transactions including assisting the lawyers in drafting documentation -
International Taxation PartnerEy Oct 1993 - Sep 1996Greater New York City AreaIn this role, and as a partner of the US firm I was a member of much lauded Manhattan based global tax team with added responsibility for the firm's global natural resources taxation group. My role required my review and analysis global taxation laws for the mining and oil and gas sector and on a wider basis for multi national corporations in media, transportation and banking institutions. I also assisted lawyers in drafting legal documentation -
Assistant General ManagerSumitomo Mitsui Trust Bank Limited Sep 1991 - Sep 1993London, United KingdomIn this role, I participated in the arranging of financing transactions. My role required my review and analysis of Global taxation laws and studying financial statements and banking regulations and drafting credit applications. The country taxation laws of particular focus were Japan, United Kingdom and Ireland. I also assisted lawyers in drafting legal documentation -
International Taxation PartnerEy Sep 1988 - Sep 1991In this role, and as a partner, I was a member of much lauded London based global tax team advising multinational clients on multinational taxation issues. My particular focus was corporate and financing transactions between UK and Australia and the EU. -
International Tax PartnerEy Sep 1985 - Sep 1988Sydney, AustraliaIn this role, I was Head of the firm's natural resources taxation group. My role required my review and analysis of Australian and global taxation laws for the mining and oil and gas sector. I assisted clients in advising on the taxation consequences of their purchase, divestiture or financing of mining and oil or gas fields in Australia, Asia and the USA. I also assisted lawyers in drafting legal documentation
Dr Peter A Wilson Education Details
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Brics And International Tax Law -
Chartered Accounting -
Institute Of Chartered Accountants In England And WalesFellow
Frequently Asked Questions about Dr Peter A Wilson
What company does Dr Peter A Wilson work for?
Dr Peter A Wilson works for Pb First Fz-Llc Uae
What is Dr Peter A Wilson's role at the current company?
Dr Peter A Wilson's current role is Global Taxation, BRICS, BEPS, Digital Taxation, Tax Policy and TIE Specialist.
What schools did Dr Peter A Wilson attend?
Dr Peter A Wilson attended Queen Mary University Of London, Unsw, University Of Westminster, Institute Of Chartered Accountants In Australia, Institute Of Chartered Accountants In England And Wales, Unsw, Unsw.
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