• Mergers, acquisitions, and similar transactions;
  • Foreign investment from and to Brazil (including the type choice and location of the investment channel);
  • Corporate and capital restructuring;
  • Domestic and international financing transactions;
  • International trade;
  • Efficient intangible assets structures;
  • Transfer pricing and thin capitalization rules;
  • Efficient appropriation of non-cumulative tax credits;
  • Controlled Foreign Companies – CFC;
  • Non-profit foundations, associations and entities;
  • Succession planning; and
  • Administrative and judicial court tax litigation.

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