Our tax practice is transactional and focuses on M&A, private equity, corporate restructuring and real estate. We have substantial expertise in real estate matters, where we assist clients with transactions and restructurings. We act as attorneys in tax disputes and litigation.
Our tax practice is transactional by nature. We advise our clients on M&A transactions, business restructurings and merger operations, private equity deals, the international transfer of companies and transfer pricing. We offer tax due diligence, accompanied by tax risk and liability assessment. We develop various tax models for transaction structuring. We provide detailed analysis of the tax consequences of mergers, carve-outs, fiscal unity structuring and the transfer of activities between transaction entities as well as post-closing structuring assistance.
We help our clients to choose the optimal real estate structuring for their investments or transactions and can structure REITs and regulated companies. By optimising the tax structure of real estate portfolio acquisitions / disposals, we help clients to reduce related VAT or transfer tax costs. We offer a comprehensive range of tax dispute services, among them the development of audit tax strategy and controversy support. When tax litigation becomes inevitable, we defend our clients on an administrative tax appeal or before the courts.