International Tax Planning

We usually deal with specific tax planning goals and objectives of international clients and how these goals can be achieved through the use of international and EU based holding company structures. We work closely with clients in evaluating and selecting a holding company location, offer an overview of the domestic legislation of the jurisdictions involved and will focus on financing and intellectual property planning. We give our clients tailor-made, unbiased and in-depth answers on their requests on national and international tax issues.


Cross-border Tax issues

In our analysis we focus on the following issues:

  • corporate tax rate
  • taxation of dividends, interest and royalties
  • participation exemption requirements
  • taxation of capital gains
  • withholding taxes on outbound payments
  • deductibility of capital losses
  • capital duties and other indirect taxes
  • deductibility of funding costs
  • debt-to-equity limitations
  • double tax treaties
  • taxation of foreign exchange gains and losses
  • CFC and anti-avoidance rules
  • other considerations



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