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Richard Slowinski brings more than 25 years of experience advising clients on complex tax matters with a strong focus on transfer pricing. He works closely with multinational companies across industries including transportation, finance, hospitality, electronics, food and beverage, aerospace, pharmaceuticals, luxury, e-commerce and retail to structure and defend cross border transactions. As disputes in this area continue to rise, he helps companies navigate transfer pricing controversies which consistently rank as the top international tax risk in global surveys. His clients rely on him to secure approval from the IRS and foreign tax authorities for transfer pricing methodologies and cross border structures tailored to their business goals.

Richard also advises on the application of tax treaties, helping clients access reduced withholding rates and other benefits for outbound and inbound matters, including supporting foreign companies entering the U.S. market. Partnering with customs, trade, corporate and IP teams, he helps clients align intercompany pricing with tariff considerations and broader business strategies while implementing tax efficient operations. Whether guiding the movement of intellectual property within a multinational group or advising on newly acquired IP portfolios, he delivers practical solutions that balance compliance with opportunity.

Richard co-authors a chapter on APAs in the leading transfer pricing treatise Practical Guide to U.S. Transfer Pricing (Matthew Bender), is recognized as a Recommended Lawyer and Leading Lawyer by International Tax Review and is named in The Best Lawyers in America® for Tax Law and Litigation and Controversy Tax, as well as Euromoney’s Expert Guide for Transfer Pricing.


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