PUBLICATIONS

  • Art. 24(5) of the OECD Model in Relation to Intra-Group Transfers of Assets and Profits and Losses, G. Maisto, in World Tax Journal, 2011, 179-225



TAX FOR M&A AND CORPORATE RESTRUCTURING

The firm is retained to structure complex domestic and cross-border mergers and acquisitions for both strategic and private equity investors, joint ventures, leveraged buyouts and other company reorganizations.