Our international M&A tax teams in the US and London are experienced in negotiating and structuring cross-border mergers, acquisitions, disposals, reorganizations, spin-offs and split-ups.
We regularly counsel strategic buyers and sellers, including multinational companies and private equity funds, structuring their M&A transactions so as to maximize their after-tax position. We can help with cross-border tax implications, purchase and sale structures, tax warranties and indemnities, and optimization of company's tax attributes (including US net operating losses and UK trading losses).
In the UK, our team advises on the impact of stamp duty in all its forms, and the application of group relief, in the context of mergers and acquisitions. We also guide UK resident shareholders on the application of rollover and similar reliefs in these scenarios.
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In the US, our corporate and international tax practice provides counsel on both inbound and outbound M&A transactions. We are often retained to the controlling shareholders and management teams on the US tax consequences of an M&A transaction.
Our clients are based in Europe and Asia, and especially in the CIS region: we work for many companies in Kazakhstan, the Russian Federation, Georgia and Kyrgyzstan. The team's client list includes major banks, insurance companies, property finance clients, hotels and luxury brands, and fund managers; we work in the mobile telecoms, oil and gas, construction, mining and transportation sectors.
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Andrew Terry
DD: +44 (0)20 7597 6020
Email me
Sanford J. Davis
DD: +1 212 848 9855
Mitchell R. Kops
DD: +1 203 974 0391