No jargon. Just rock-solid advice.

Whether you want to restructure, kick-off a joint venture or manage intellectual property, if you’re working cross-border then the tax implications are in constant flux.

You want the deal done, but you know that the tricky issue of your global tax footprint can determine not only how it’s done, but how successful it will be.

It’s complicated enough and you’re busy. You don’t want theory, just clear advice.

You need someone to steer you through your options, work with you to find a solution and then help you execute the right decisions.

The defence file you may never need, the opportunities you never knew you had

Our starting point is always your business objectives.

Only when we properly understand your business can we suggest a solution.

But there’s more than one way to achieve what you want. Especially when it comes to tax. So we’ll lay out the cost/benefit analysis for every single course of action, clearly. We’ll also tell you what we would do in your shoes.

We’re experts at unearthing overlooked opportunities and, most importantly, making sure you end up with a robust solution which is as future-proof as possible.

If you want to work with a pragmatic partner you can rely on, then we’d love to hear from you.

We can help you with:

  • Overseas expansion including M&A, branch v. subsidiary, permanent establishment risk
  • Debt structuring
  • Restructuring
  • Withholding taxes, holding companies and interpretation of anti-treaty shopping provisions
  • Extraction and exploitation of intellectual property
  • Transfer pricing
  • Anti-avoidance including controlled foreign company rules, anti-hybrid changes, the UK’s Diverted Profits Tax
  • Tax Risk Management
  • Impact of the OECD’s Base Erosion and Profit Shifting initiative and the Multilateral Instrument on double tax treaties
  • EU tax law
working with us

Talk to an expert on Corporate Tax

Zoe Wyatt

Zoe is a Partner at Milestone, she brings extensive knowledge of international tax systems with a special interest in double tax treaties, exploitation of IP and the role of EU law.

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