We assist Clients in tax issues arising in international inbound and outbound transactions and support them in addressing issues posed by the application of double tax treaties and of the sources of European Union law in the context of international tax planning.
Our "M&A and Financial markets" Focus Team routinely engages in international tax profiles in acquisition transactions involving international investment structures.
We are conducting an analysis of the impacts that will result from the recent introduction into domestic law of the preferential regime for the transfer of economic activities to Italy and the global minimum tax regime.