Our aim is to consider the wider business and demonstrate how effective tax structuring can help the company achieve its goals.
As a global team, we understand tax regulations in multiple jurisdictions and we are adept at crafting a clear path through various differing rules, whether domestic or international. It is our role to anticipate and resolve current and potential issues and to minimize unanticipated outcomes.
Overall, we aim to simplify the complex. Our team covers all areas of business taxation, and we can also access the knowledge of our colleagues in other practices, such as Employment, Real Estate and Corporate Law. As a client, you will benefit from this experience without having to manage multiple relationships. We will gather the relevant information and present it in a coherent and consistent manner.
We are able to design, model and implement planning and transactional strategies, while offering and incorporating relevant legal advice. Ultimately, we know you value fast, pragmatic solutions that are based on the needs and goals of your business – and we are looking forward to providing them for you.
Our Business Tax capability in Ireland
A significant proportion of our Irish tax practice comprises front-end advisory work on complex domestic and international matters involving unique Irish tax considerations for multinational corporations and financial institutions. Ireland continues to be an attractive location for inward investment and our Irish Tax Group’s local experience in advising on high profile new Irish projects (including the tax structuring of new business projects in Ireland), coupled with our comprehensive international network which gives access to market-leading tax experts, means that we are ideally placed to help your business to succeed and thrive.
Our lawyers are experienced in all aspects of business tax. Our experience includes advising:
- a global chemicals manufacturer in relation to the Irish tax aspects of relocating its valuable IP, including the implications on certain tax depreciation allowances previously claimed
- a global insurance group in relation to the expansion of its business operations into Ireland
- a German wind turbine manufacturer in relation to the Irish tax aspects of various reorganizations and restructurings both in advance and following a high-profile JV project
- an internationally recognized fashion house in relation to the restructuring of one of its key brands, including advising on and assistance with the making an Irish stamp duty relief claim in order to avoid a substantial tax cost
- a specialty insurance provider in relation to the inception of a tax risk policy regarding a substantial potential tax exposure. This matter related to the high profile sale of one of Ireland’s biggest stockbroker firms
Yhteyshenkilöt
Uusimmat Artikkelit
- legal updatesConversions under the Mobility Regulations, Registration of Charges and the 21 day rule
- legal updatesKey points regarding the Tax Strategy Group 2025 corporation tax paper
- legal updatesBudget Reconciliation Update
- legal updatesFinance Act 2024
legal updates
23. tammikuuta 2026
Conversions under the Mobility Regulations, Registration of Charges and the...
legal updates
31. heinäkuuta 2025
Key points regarding the Tax Strategy Group 2025 corporation tax paper
legal updates
30. kesäkuuta 2025
Budget Reconciliation Update
legal updates
10. kesäkuuta 2025
Finance Act 2024