We are specialists in our field. With our expertise and international experience, our team of corporate tax lawyers and international tax advisors can support you in international mergers and acquisitions, as well as other cross-border matters.
Mergers and acquisitions
As an international tax law firm, LexQuire offers an integrated service in M&A transactions. Our tax lawyers handle tax due diligence, fiscally beneficial integration into existing structures, and transaction tax optimization.
We also provide advice on restructuring or conversion. We consistently find tax-efficient solutions that meet your requirements.
International tax advice
Our international tax advisors speak English, Dutch, German, Spanish, Bulgarian and Polish. To provide the best possible service, we have offices in the Netherlands, Germany, Belgium, Spain, Bulgaria and Poland.
Corporate income tax, transfer tax, turnover tax
International tax laws and regulations are complex and constantly changing. Businesses often struggle to keep up. Additionally, society increasingly focuses on transparency. The fight against tax avoidance has intensified globally and within Europe. Governments are cooperating more intensively.
Businesses need reliable expert advice from experienced tax lawyers and international tax advisors. Advisors who offer insight into relevant legislation and regulations. They should assist in setting up practical organizational and financing structures with clear explanations of tax risks. They must also assist in consultations and negotiations with tax authorities.
At LexQuire, you will find such international tax advisors. We specialize in Dutch and international tax law. Our team of various tax specialists allows us to offer multidisciplinary advice and proactive, strategic thinking.
Our tax advisors assist business men and international companies in a variety of matters involving corporate taxation:
- Transfer pricing
- Rulings
- Controlled foreign company (CFC) rules
- Management participations
- Transfer of the corporate seat
- Participation exemption
- Fiscal unity
- The deduction of interests
- Mergers and demergers