Our cross-border experience includes both inbound and outbound international tax planning and structuring for clients investing in, operating, forming and acquiring businesses operating in multiple jurisdictions, and for partnerships or joint ventures with parties from other countries. Our tax lawyers have been involved in matters in almost every continent around the world, and particularly with major trade partners of the United States, in Europe, Asia and throughout the Americas.
Our focus is on the U.S. tax consequences of U.S. businesses, family offices, high-net-worth individuals, and other investor groups operating or making investments in foreign countries, and of similar non-U.S. persons operating in the United States. We often work closely with an expansive network of tax professionals around the world with whom we have trusted relationships to provide efficient and practical advice. Utilizing our knowledge of both statutory tax laws and applicable treaty provisions, we help minimize the tax burden of your business.
With significant changes in U.S. international tax policy on the horizon, we collaborate with our government relations lawyers in Washington, D.C., to stay abreast of legislative and regulatory developments that may affect your tax liability in the United States and abroad.