Our tax lawyers advise clients on transactional tax planning matters on a global basis. US domestic and international mergers and acquisitions, divestitures, reorganizations, spin-offs, joint ventures, and strategic alliances, as well as equity and debt securities offerings, are among the areas in which we offer tax counseling.
In addition to the lawyers in our domestic offices, Morgan Lewis tax lawyers work from our offices in London, Frankfurt, Munich, and Beijing. These international tax lawyers help clients structure and implement cross-border, as well as German, UK, and Chinese, mergers and acquisitions; European and global tax minimization strategies; and outbound investments from the United States into Europe and other jurisdictions.
Our transactional tax work includes:
Energy
In support of our energy practice, our tax lawyers participate in tax planning for all types of domestic and international oil and gas transactions, including master limited partnerships (MLPs), renewable energy project finance and tax equity matters, and large-scale utility transactions.
Private Equity Funds & Institutional Investors
We counsel private equity funds on tax structuring. This includes transactional tax support for fund formations, as well as portfolio company acquisitions, operations, and dispositions. Fund representations complement our robust and well-known institutional investor tax services.
Mutual Funds, REITs & Broker-Dealers
Our team advises clients on all tax-related aspects associated with the creation and operation of private and pooled investment vehicles, including mutual funds, hedge funds, real estate investment trusts (REITs), and other investment-related vehicles. We also assist our financial service clients in addressing information reporting and related matters.
International Tax Planning
Our group provides clients with international tax planning and tax optimization strategies. We counsel multinational taxpayers on tax jurisdictional issues, treaty application, antiavoidance rules, US antideferral regimes, tax rulings and holidays, repatriation planning, and withholding matters.
Life Sciences & Healthcare
Clients in the life sciences and healthcare sectors turn to us for tax planning related to mergers and acquisitions, joint ventures, and intellectual property transactions. Our clients include pharmaceutical and biotechnology companies, medical practices, health insurers, and managed care organizations.
Capital Markets
We advise clients on tax issues related to securities offerings, including the preparation of tax opinions required by the US Securities and Exchange Commission (SEC). We also counsel specialized entities, such as REITs and MLPs, on tax structuring, disclosure, and securities matters.
Public & Private Company Mergers & Acquisitions
We offer transactional tax planning, and work with public and private company clients on US domestic and international mergers and acquisitions, reorganizations, spin-offs, joint ventures and strategic alliances, and equity and debt securities offerings.
Postacquisition Integration
We advise clients on international and domestic restructurings following acquisitions, including optimal cross-border structures and consolidated return issues.
International Tax
Our European and international tax and corporate structuring team includes tax lawyers located outside of the United States, resident in Frankfurt, Munich, and London. In addition to being licensed to practice tax law under the laws of France, Germany, and the United Kingdom, we have a deep knowledge of the structures and tax laws in other European jurisdictions.
Lawyers in our US offices extensively support our international tax team, which draws on the resources of the entire firm to encompass not only all aspects of tax law but also the many additional considerations in any structuring or transactional assignment.
Clients turn to us to structure international corporate groups from a tax perspective and implement the corporate structure they adopt. We can assist with establishing, liquidating, or dissolving subsidiaries and branches; drafting intercompany agreements; and planning and negotiating mergers, acquisitions, and reorganizations. We frequently take on EU tax law assignments for both US and European companies—providing advice on corporate income tax, value-added tax (VAT) issues, excise duties, and capital duties.
Our international tax group provides complex international tax planning advice and representation in:
- Cross-border and French, German, and UK mergers and acquisitions
- Pan-European and global tax minimization strategies
- Structuring outbound investment from the United States into Europe and other non-US jurisdictions
- Structuring foreign investments—such as new businesses, real estate investments, and portfolio investments—in Europe and the Middle East into US investments
- Structuring tax and operationally effective legal structures for multinational groups
- Counseling high-net-worth individuals and multinational families on the tax-effective use of offshore trusts and corporate structures