International Tax

Our international tax practice focuses on providing innovative and practical solutions in all phases of cross-border tax work, including:

  • Cross-border mergers and acquisitions;
  • Structuring transactions to avoid the inversion rules;
  • CFC and PFIC analysis and planning;
  • Planning for multinational corporations;
  • Inbound investment in the United States by foreign investors, and in particular, foreign investment in U.S. real estate;
  • Outbound investment in foreign jurisdictions by United States private equity funds;
  • Upstream investment fund structuring for foreign investors in United States funds;
  • Optimizing global tax structures;
  • Intercompany cross-border debt;
  • All aspects of FATCA compliance and planning, and
  • Foreign tax credit planning.
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Publication
Klee in Lexology In-Depth: Private Wealth and Private Client, Mexico
November 22, 2023

Haynes and Boone, LLP Partner Edgar Klee and Associate Joel Gonzalez Lopez authored a chapter in the 12th Edition of Lexology In-Depth on the new administration bringing changes to various areas of the Mexican economy, which may bring new business opportunities for investors, but also new rules that will have to be reviewed to better capitalize on the opportunities in the new political environment [...]