WILG lawyers develop effective tax strategies
to meet the diverse needs of multinational corporations, closely held
corporations (and their owners), foreign taxpayers and those involved
in cross-border transactions.
The complicated structures of global business transactions are attended
by ever more complex, and critical, tax implications. International
business planning cannot be conducted without a thorough understanding
of the tax implications of international and cross-border transactions.
WILG lawyers are experienced in helping clients address the tax implications
of most complex international transactions. We provide guidance to
U.S. and international investors concerning the merit of tax issues
facing entities doing business or making investments overseas.
We are trained with respect to international tax matters and structure
international business transactions to minimize worldwide tax liability
and maximize the benefits of international treaties and foreign tax
credits.
We combine advanced tax planning and execution with a legal understanding
of the consequences of our advice. And our ability to integrate tax
and legal services drives precise implementation of international
tax structures.
WILG provides complex international tax planning
advice and representation in a variety of areas including the following:

International joint
venture, partnership and LLC transactions.

Cross-border merger,
acquisition and divestiture and restructuring
transactions.

International reorganizations.

Transfer pricing
planning.

Related
party transactions.

Foreign
tax credit maximization.

International financings.

Corporate recapitalizations.

Withholding taxes.

Source and character of income
analysis.

Tax treaties.

Foreign taxes.

Global tax minimization strategies.

Outbound investment from
the U.S. into non-U.S. jurisdictions.

Inbound investments into
the U.S.

Tax-effective use of offshore
corporate structures.