We have solid experience in advising on and designing tax-effective plans and steps for M&A transactions, including equity acquisition or transfer, asset/business acquisition or transfer, merger and spin-off, reinvestment and the associated indirect transfer of domestic equity or assets, special tax treatment, tax deferral, all of which are aimed at tax optimization.
We also represent enterprises being restructured in bankruptcy restructuring projects to optimize the reorganization plans from a tax perspective and quantify the tax impact of different plans to enable the parties easily to reach consensus on the right structure for the restructured enterprise.