
Andersen Global continues to unify its African platform as MAJ Consulting, a Rwanda-based collaborating firm since 2022, becomes the latest member firm to join the global organization and adopt the brand.

Andersen Global continues to solidify its presence in Latin America through the addition of Andersen in Colombia, the latest member firm to adopt the Andersen brand.

Andersen Global continues to build on its multidisciplinary platform in Africa, adding investment banking and M&A capabilities to the region through a Collaboration Agreement with Boston Advisory Limited based in Nigeria.

Andersen Global continues to amplify its reach in the Asia Pacific through a Collaboration Agreement with Opti, a tax advisory firm operating out of Japan.

Andersen Global continues to strengthen its presence in Asia with the addition of collaborating firm Taxand Advisory LLC, a full-service tax advisory firm in Mongolia.
Andersen has been ranked as a Top 100 U.S. firm by INSIDE Public Accounting (IPA) for the ninth consecutive year, with the added distinction of being named as an IPA 100 Fastest-Growing firm. IPA's rigorous evaluation of more than 600 firms based on net revenue has made their rankings some of the most respected in the industry.

Business owners are frequently approached with unsolicited offers to buy all or part of their companies. In other instances, business owners may be proactively seeking a sale. Regardless of the situation, for owners who are interested in selling, whether in the near term or years down the road, early preparation and a thoughtful approach to financial and tax matters are essential to maximizing the value of the business and ensuring a smooth transaction process.

Income tax treaties can allow tax benefits not otherwise afforded under the domestic law of treaty partners, and are thus an integral consideration for individuals with cross-border investments, business, presence, and activities.

In any transaction that could result in a loss or deduction, the related-party rules under Sec. 267 must be considered.
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