Cross-Border Tax & EU Law
In this matter, she advised a corporate group on a complex cross-border withholding tax dispute arising from dividend distributions between EU jurisdictions. The engagement required detailed analysis of EU tax law, double taxation treaties, and domestic anti-abuse provisions, as well as close coordination with foreign counsel.
Her role included reviewing the corporate structure, assessing regulatory and tax positions, liaising with advisors across multiple jurisdictions, and supporting the preparation of legal arguments grounded in EU law principles, including proportionality, legal certainty, and freedom of establishment.
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