01 · International Tax

InternationalTax

We design cross-border fiscal architecture for corporate groups and complex private wealth. Compliance, planning and defence, integrated from day one.

Global Presence
BOGOTALONDONDUBAI
In brief

International tax is the discipline of structuring how corporate groups and private wealth operate across jurisdictions to comply with local rules, apply double-tax treaties and protect capital. T&C integrates planning, international taxation, litigation and wealth management for companies and family offices operating across Latin America, the UAE and Europe.

What we do

In tax matters, the true cost is never the fee, it is the decision.

We advise companies and private wealth that operate where regulation is demanding and decisions are final. We integrate consulting, litigation, international taxation and wealth management into one team that thinks like an owner and responds like an advisor. Our standard is measured by outcome: defensible structures, controlled risk and protected capital across jurisdictions.

Capabilities

Five fronts. One judgment.

When we get the call

Typical mandates.

Some recent examples

01

A group operating across three countries needs to rethink its holding structure before raising capital.

02

A family office migrates part of its wealth to the UAE and needs residency, substance and reporting planning.

03

A company receives a special inquiry from the tax authority over an intercompany transaction.

04

A founder prepares to sell their company and needs to optimize the personal and corporate tax impact.

05

An international group reviews its transfer pricing policy after a material regulatory change.

06

A cross-border investment decision requires a technical opinion on treaties and substance before closing.

Methodology

How we work.

01

Diagnosis

We map exposure, risk and opportunity across every relevant jurisdiction before proposing architecture.

02

Structuring

We design fiscal architecture aligned with the client's strategy, defensible both technically and economically.

03

Implementation

We execute with precision: documentation, contracts, substance, compliance and authority engagement.

04

Defence

We stand behind every decision over time, defending the structure against any challenge.

REGULATORY FRAMEWORK · KEY DATA POINTS
200%
Maximum penalty for omitted income in Colombia (Tax Statute art. 647, DIAN).
35%
General corporate income tax rate in Colombia (Law 2277 of 2022).
9%
Standard UAE corporate tax rate on profits above AED 375,000 (Federal Decree-Law No. 47/2022).
Frequently asked

Questions that arrive before the first mandate.

Reach

Bogotá. London. Dubai.

A single firm answers for the structure from design to defence, in every jurisdiction.

Bogotá, Colombia
HQ LATAM
Bogotá
Colombia
London, United Kingdom
HQ Europe
London
United Kingdom
Dubai, United Arab Emirates
HQ Middle East
Dubai
United Arab Emirates
Next mandate

The next mandatedefines the next decade.

One hour with the right team usually shifts the course of a mandate.