Our Services
We Operate a Global Law Firm By Combining International Tax and Business Law Services and Acting As a One Stop Shop for Global Businesses and International Clients
Our Global Legal Practice combines a sophisticated International Tax Practice focused upon international tax planning and advice for businesses, families and individuals and a Global Business Practice focused upon strategic legal advice in the area of international business transactions, with parrticular emphasis on cross border mergers and acquisitions as well as strategic alliances, joint ventures and cross border business arrangements.
Foreign taxpayers (nonresident individuals) who move to Italy or the U.S. for a limited period of time or to live there permanently are exposed to the risk of being subject to tax in Italy or the U.S.
Portfolio income arises from investments in stock and bonds, licensing of intellectual property (patents, trademarks, copyrights, proprietary information), purchasing units of collective investment funds…
If you are planning a cross-border transaction, operation or investment you must deal with a multitude of tax issues and a broad array of tax rules, each with different and interdependent, short-term and long-term tax consequences.
Foreign taxpayers engaged in an active trade or business in the host country are usually subject to income tax in that county. The tax applies on net income (gross profit less deductible costs ad expenses)…
U.S. or Italian taxpayers with investments or business operations in a foreign country are subject to tax in the foreign country, which taxes the income on the basis of source, and in their home (residence) country…
Countries enter into bilateral income tax treaties to govern the allocation of respective taxing rights to avoid double taxation of their residents with respect to income arising in their respective territories.
If you are a multinational enterprise with cross-border transactions with related entities you probably know that transfer pricing enforcement is a high-profile and big-money priority for tax authorities around the world.
We assist corporate and individual clients in tax audits involving international tax matters and requiring specific international tax expertise and advice.
Moving to a foreign country often entails leaving one tax jurisdiction and entering into another, completely different tax system and requires careful planning.
International workers are assigned to foreign affiliates under different legal and employment schemes, which may vary from a temporary, short term transfer limited to a specific project or task…
Clients with domestic wills or trusts governing assets located in foreign jurisdictions need specific advice on the legal validity, effectiveness and enforcement of their family…
United States citizens and resident taxpayers with foreign financial assets and accounts, interests in foreign entities or gifts from foreign estates or trusts are subject to strict reporting rule requiring…
We effectively manage and timely execute critical global business projects spanning many operational areas and requiring international legal and tax strategies.
We provide comprehensive legal support to our corporate clients, acting as external general counsel with complete administrative support and strategic legale advice.
We regularly serve as external general counsel for companies engaged in global business.
The U.S. marketplace is the pinnacle of business growth and investment opportunity;
The U.S. marketplace is the pinnacle of business growth and investment opportunity;
Our sophisticated Italian international tax practice is specifically dedicated to assisting foreign individual and business clients with the full range of services on all Italian international tax matters.
We provide legal services relating to the organization, management, liquidation and dissolution of foreign-owned Italian companies.
We assist foreign clients on international commercial agreements, business and real estate transactions in Italy.
We assist foreign clients in Italian international litigation cases in front of Italian civil courts and Italian international mediation and arbitration procedures.
Italy operates the most competitive and attractive preferential tax regime for high-net-worth individuals in the world today.
Italy operates a preferential tax regime for new residents that provides a 70% tax exemption for income derived from employment, professional services or business carried out in Italy.
If you move to Italy with a preexisting estate and trust plan in place as set up under your home country’s laws, an important issue you face is determining whether and how that plan is going to…