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As local and international tax regulations become more prescriptive, dealing with them 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. Luxembourg being a key jurisdiction in cross-border tax structuring, we understand the tax pressures you face. That is the reason why we endeavour to provide you with innovative and tailor-made solutions.

Whether you are a financial institution, multinational, fund, investor or high net worth individual, CMS Luxembourg Tax team can help you manage tax control cases and deal with tax authorities as well as manage tax litigation cases. The right tax advice can make a material difference to transaction costs and, in some cases, avert serious consequences.

CMS Luxembourg’s Tax lawyers are able to provide advice on a vast range of transactions to both domestic and international clients. As an example we regularly assist our funds department on the tax aspects of the structuring of regulated and unregulated real estate, private equity or debt assets funds. In addition, we are able to cover most of the countries in which you are doing business thanks to our close collaboration with highly qualified CMS experts.

Indeed CMS alliance is composed of more than 350 tax lawyers who 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.

Our teams work together across 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.

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13 January 2020
CMS strengthens its pres­ence in Lux­em­bourg
New fully op­er­a­tion­al cor­por­ate and tax teams join CMS
25 March 2020
CMS Ex­pert Guide to COV­ID-19 Tax Re­lief Meas­ures
06 April 2020
New bill of law that denies tax de­duc­tion of in­terest and roy­al­ties paid...
On 30 March 2020, the Lux­em­bourg gov­ern­ment pub­lished a bill of law with num­ber 7547 (the “Bill”) to deny the tax de­duct­ib­il­ity of in­terest and roy­al­ties paid or due to as­so­ci­ated en­ter­prises es­tab­lished...
August 2018
Sum­mer of sports 2018
27 July 2018
CMS Ex­pert Guide to In­ter­na­tion­al Trans­fer Pri­cing Doc­u­ment­a­tion
This guide provides con­sist­ent and prac­tic­al in­form­a­tion of the doc­u­ment­a­tion re­ques­ted by each loc­al tax au­thor­ity – es­pe­cially where the pro­vi­sions of na­tion­al laws are far from be­ing har­mon­ised.
25 March 2020
COV­ID-19: Over­view of Lux­em­bourg sup­port­ing meas­ures
The Cov­id-19 out­break has been de­clared a pub­lic health emer­gency of in­ter­na­tion­al con­cern by the World Health Or­gan­iz­a­tion, caus­ing un­pre­ced­en­ted im­pact on people's lives, busi­nesses and com­munit­ies....
06 June 2018
Tax avoid­ance in a glob­al­ised world
This Guide il­lus­trates the on­go­ing de­vel­op­ment of anti-avoid­ance tools on every con­tin­ent. Africa, Europe, Lat­in Amer­ica and Asia are equally con­cerned. In­spired by..
19 April 2017
CMS Ex­pert Guide to Trans­fer Pri­cing Doc­u­ment­a­tion Re­quire­ments in 30 Coun­tries
This CMS Ex­pert Guide is an ex­cel­lent sup­port for in­ter­na­tion­al groups to man­age and se­cure their trans­fer pri­cing policy in an en­vir­on­ment where the pro­vi­sions of na­tion­al laws are far from be­ing har­mon­ised.
05 February 2020
Lux­em­bourg tax chal­lenges for 2020
The year 2019 brought sev­er­al changes to the Lux­em­bourg tax law en­vir­on­ment and there­fore we want to set out the changes and main points that could be rel­ev­ant for cor­por­ate tax­pay­ers. Dir­ect Tax 1. Anti-hy­brid...
May 2018
Ar­ti­fi­cial In­tel­li­gence and Ro­bot­ics: From a La­bour and Tax Per­spect­ive
#law­volu­tion
29 November 2019
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...
April 2018
Tax Con­nect Flash | VAT group in­tro­duced by a bill of law in Lux­em­bourg