The firm offers comprehensive tax advice on all issues relating to international tax law providing assistance to taxpayers:
• on the analysis and resolution of cases of double taxation;
• on the criteria for determining tax residency for natural and legal persons and entities;
• on the interpretation of the provisions of international conventions against double taxation;
• on establishing amicable arbitration procedures (Mutual Agreement Procedure).
The firm also provides assistance in the application and correct interpretation of the OECD interventions with regard to treatment of multinational companies and in monitoring issues related to “harmful tax competition”.