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As local and international regulations become more prescriptive and enforcement gathers pace, dealing with the evolving tax landscape in a cross-border context presents you with a significant challenge. The number and complexity of tax investigations conducted by authorities is rapidly escalating and the need for tax adjustments is rising accordingly. Our 350 tax lawyers worldwide are supported by strong technical tax intelligence teams that identify developments in tax law and policy affecting your business. This multi-disciplinary approach helps you develop robust structures that maximise tax effectiveness in alignment with your commercial strategy.  Given the cross-border nature of today's tax issues, top corporates and financial institutions seek our advice in Central and Eastern Europe, given our global tax presence and our in-depth expertise in national tax laws.

Whether you are a financial institution, multinational, fund, investor or high net worth individual, we understand your business and the tax pressures you face. Our teams work together across Central and Eastern Europe and beyond in the key areas affecting your business including VAT, international taxation, transfer pricing, e-commerce, M&A and investment funds, tax planning and financing.  Our experts can help you manage tax control cases and deal with tax authorities as well as manage tax litigation cases, including challenging tax liability decisions. The right tax advice can make a material difference to transaction costs and, in some cases, avert serious consequences.

Our tax lawyers in Ukraine have extensive experience in dealing with tax authorities and of successfully bringing cases to positive conclusion. 

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CMS Ex­pert Guide to COV­ID-19 Tax Re­lief Meas­ures
03 Apr 20
Ukraine passes range of meas­ures in re­sponse to the coronavir­us crisis
As the COV­ID-19 pan­dem­ic con­tin­ues to spread around the world and the num­ber of con­firmed in­fec­tions in Ukraine reaches 669 (as of 1 April 2020), the Ukrain­i­an gov­ern­ment is push­ing for­ward on sev­er­al...
03 Jul 17
Over­view of Tax Re­forms in CEE 2015 - 2017
19 Mar 20
Ukraine En­acts Anti-Coronavir­us Le­gis­la­tion
Ac­cord­ing to the of­fi­cial in­form­a­tion as of 18 March 2020, Ukraine re­por­ted 14 con­firmed cases of Coronavir­us Dis­ease 2019” (“COV­ID-19”) with two leth­al out­comes.  COV­ID-19 is caused by the vir­us...
07/04/2016
CMS Guide - Trans­fer pri­cing: pro­ced­ures for the elim­in­a­tion...
27 Dec 19
Ukraine to launch mon­it­or­ing of GHG emis­sions
On 12 Decem­ber 2019, the Ukrain­i­an par­lia­ment ad­op­ted the MRV Law im­ple­ment­ing the European stand­ards for mon­it­or­ing of green­house gas emis­sions (GHG). This MRV Law, en­titled On Prin­ciples of Mon­it­or­ing,...
29 Nov 19
Gibral­tar’s status with­in the EU
AG opin­ion ad­voc­ates strict in­ter­pret­a­tion of EU dir­ect­ive, but con­firms dis­crim­in­at­ory nature of Bul­gari­an le­gis­la­tion con­trary to free­dom of es­tab­lish­ment The opin­ion of Ad­voc­ate Gen­er­al Hogan (the...
14 Nov 19
Ukrain­i­an par­lia­ment rat­i­fies amend­ments to Double Tax Treat­ies with...
On 30 Oc­to­ber 2019, the Ukrain­i­an par­lia­ment rat­i­fied pro­to­cols amend­ing Double Tax Treat­ies (the “Treat­ies” or “Treaty”) with the United King­dom and Cyprus. The pro­to­cols re­vise the with­hold­ing...
19 Aug 19
The ins and outs of Brexit – em­ploy­ment and tax as­pects
As the Brexit pro­cess ap­proaches its ex­ten­ded 31 Oc­to­ber 2019 dead­line, UK and EU com­pan­ies and their em­ploy­ees are fo­cus­ing on the key em­ploy­ment law and tax ques­tions that will shape busi­ness and the...
12 Aug 19
Mul­ti­lat­er­al Con­ven­tion to pre­vent BEPS to come in­to force in Ukraine...
On 8 Au­gust 2019, Ukraine de­pos­ited with OECD its in­stru­ment of rat­i­fic­a­tion for the Mul­ti­lat­er­al Con­ven­tion to Im­ple­ment Tax Treaty Re­lated Meas­ures to Pre­vent Base Erosion and Profit Shift­ing (MLI)....
16 Jul 19
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Data Pro­tec­tion The European Gen­er­al Data Pro­tec­tion Reg­u­la­tion raises at least two is­sues in par­tic­u­lar in this con­text. First: is pseud­onym­ous in­form­a­tion per­son­al data? Second: how can a “right...
11 Jul 19
An in­tro­duc­tion to the law of block­chain and dis­trib­uted ledger tech­no­lo­gies...
Rem­ed­ies: In Prin­ciple The ori­gin­al Bit­coin White Pa­per stressed the im­port­ance of trans­ac­tions not be­ing re­vers­ible. Ir­re­vers­ib­il­ity is a func­tion of Bit­coin, de­lib­er­ately de­signed to re­duce trans­ac­tion...