Certified Tax Accountant
TEL |
+82-2-6386-7965 |
E-MAIL |
gichang.han@leeko.com |
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Gichang HAN, has extensive experience in consulting on Transfer pricing issues including the management of transfer pricing for multinational companies in various industries. As an expert in the transfer pricing field, Mr. Han provides a variety of consulting services, ranging from assisting with BEPS documentation and documentation of cross border transactions, developing a transfer pricing policy and implementation(transfer pricing planning), assisting with transfer pricing audits and tax appeals. In addition, he has actively carried out various types of domestic transfer pricing planning, as well as valuation and developing transfer pricing policy of intangible assets such as brands and technologies, which have recently emerged as major issues in the field of transfer pricing.
Education
2003 |
Kookmin University B.A. in Public Administration |
Work Experience
2020-Present |
Lee & Ko |
2017-2020 |
Ernst &Young Han Young Tax Group, Transfer Pricing Team Director |
2012-2017 |
AmorePacific, Tax Strategy Team |
2010-2012 |
Samjong KPMG Tax Group, Transfer Price Team |
2007-2010 |
AmorePacific, Tax Team |
2004-2007 |
SK Hynix Semiconductor, Accounting Team |
Expertise
Outbound Investment |
International Tax |
Tax Audit Defense and Pre-tax Audit Review |
Tax Appeal |
General Tax Consulting and Strategic Advisory Services |
Transfer Pricing |
Admissions
Member of Certified Tax Accountant, Korea (2003) |
Languages
Representative Cases
[Business related to documenting and planning transfer pricing]
- (Electronic) Assisting with BEPS Documentation for Company L
- (Automobile Parts) Developing global transfer pricing planning and Assisting with BEPS Documentation for Company I
- (Tire) Developing global transfer pricing planning and Assisting with BEPS Documentation for Company N
- (Chemistry) Assisting with restructuring of transactions and the redistribution of functions and risks for Company L
- (Electronic) Assisting with restructuring of transactions and the redistribution of functions and risks for parts transaction of Company L
[Application for advance pricing agreement (APA) and mutual agreement procedure (MAP)]
- (Clothes) MAP&APA application for transactions with T's subsidiaries in China, Vietnam, and Indonesia
- (Chemistry)APA application for transactions with L's Chinese subsidiary
- (Automobile parts) MAP&APA application for transactions with D's U.S. and Chinese subsidiaries.
- (Automobile parts) APA application for transactions with K's Vietnam subsidiary
[Other]
- (Automobile parts) Developing a domestic transfer pricing planning for Company H
- (Chemistry) Developing a domestic transfer pricing planning for Company L
- (Fin-Tech) Developing a domestic transfer pricing planning for Company L
- (Group Corp) Developing a domestic transfer pricing planning and brand royalty policy, preparing documentation for Company D
- (Group Corp) Developing brand royalty policy and preparing documentation for Company K
- (Group Corp) Developing brand royalty policy and preparing documentation for Company L