Moore & Bruce

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Tax—Domestic US and International


MOORE & BRUCE, LLP is highly regarded for its domestic and international tax expertise. With respect to international tax issues, it advises with respect to all aspects. These include, for example, corporate taxation, individual taxation, the rules applicable to trusts and beneficiaries, and gift and estate taxes.

It has advised as to many types of so-called “in-coming” transactions. These include investments in and acquisitions of US property.

It advised a non-US group with respect to a series of US real estate investments and later the disposition of those investments.

The Firm advises US taxpayers on business and personal investments abroad.

The firm advised US companies on the development of properties in the Middle East.

Probably the most common engagement involves clients from several jurisdictions, with transactions that touch upon multiple jurisdictions.

We recently advised European clients with respect to acquisitions and privatizations in southeastern Europe.

An area of special concentration has been the taxation of export transactions and foreign subsidiaries of US groups—the Subpart F rules.

The firm frequently advises US-based or foreign-based multinational enterprises on the structuring of international business transactions.

We engage in tax planning for clients. This work often calls for a significant degree of creativity.

The Firm sometimes obtains Internal Revenue Service rulings for clients. More frequently, clients and their lenders rely upon our opinions.

In addition, we deal with compliance and tax litigation.

Our attorneys monitor tax developments in the US, Canada, the United Kingdom, major European countries, and significant low-tax jurisdictions, such as, Bermuda and Barbados, on a daily basis.