Tax Horizons 2015

Multinational structuring strategies, executive compensation, transfer pricing considerations: our tax lawyers share their perspectives on a wide range of complex multijurisdictional situations to help you keep pace with changing dynamics in cross-border tax.

Tax Horizons 2015

Hitting the Mark in U.S. Real Estate as a Foreign Investor

Learn about ways to optimize tax structuring in what continues to be a popular U.S. asset class for inbound investment.

Passive Foreign Investment Company Considerations for Foreign Issuers

Is it time to “embrace” inversion? Learn about current considerations for cross-border income funds and REITs.

Issues in Cross-Border Income Funds and REITs

Is it time to “embrace” inversion? Learn about current considerations for cross-border income funds and REITs.

BEPS Will Increase Transfer Price Scrutiny

How prepared is your business for an audit related to transfer pricing?

U.S. Real Estate Development: Mezzanine Financing by Non-U.S. Persons

More foreign players are seeking mezzanine financing to develop U.S. real estate investments.

We Can Deduct. We Can Hedge. We’re Doing It More and More.

An analysis of recent cases, CRA interpretations and deals on interest deductibility and hedging deals

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