Tax
Our approach, grounded in our distinctive expertise in international tax structuring and high-stakes tax disputes, enables us to anticipate risks across jurisdictions and deliver defensible, strategically engineered tax outcomes in cross-border investments and complex controversies.
In tax audits and contentious proceedings, we represent our clients proactively from the initial review phase through the final stage of judicial determination. We do not merely construct defensive arguments; we build robust litigation strategies founded on deep technical expertise and extensive experience, structuring each case with precision and discipline.
Our tax practice is built on designing tax architecture in complex domestic and cross-border transactions, managing exposure and structuring frameworks on a foundation of long-term sustainability. We treat tax not as a compliance obligation, but as a strategic determinant of investment decisions, capital flows and wealth transfer.
We advise comprehensively on international tax structuring, holding and investment vehicle design, the application of double taxation treaties, transfer pricing, controlled foreign corporation (CFC) analyses and limited taxpayer regimes. Through pre-transaction modelling, we assess alternative structures, compare their short- and long-term financial implications and develop tax solutions aligned with the client’s broader investment strategy. We carefully balance tax efficiency with regulatory resilience.
In mergers and acquisitions, financing transactions and capital markets operations, we place tax considerations at the core of transaction structuring. Acquisition vehicles, financing models, dividend policies and exit scenarios are assessed in parallel, with tax liabilities analysed not only in their present form but also in their future implications.
For high-net-worth individuals and families, we bring deep expertise in inheritance, wealth and international asset structuring. We design intergenerational wealth transfers, foundation and family office structures, international holding models and cross-border wealth planning frameworks from a tax-driven perspective. Protecting family wealth, optimizing tax exposure and ensuring coherence across multiple jurisdictions form the cornerstone of our approach.