Skip to Main Content
Capabilities / International Tax

International Tax

Going global with international tax law strategies.

Husch Blackwell international tax law attorneys guide clients in navigating the additional layers of tax law that accompany international operations. Working with foreign counsel when needed, we deliver innovative tax-advantaged strategies to multinational corporations, U.S. companies, private equity firms, licensors/licensees, and individuals.
 
Our international tax law attorneys have interpreted tax treaties, restructured subsidiaries, and formed branches and subsidiaries. We have long-standing relationships with not only the Internal Revenue Service (IRS) and the U.S. Department of Justice (DOJ), but also tax authorities in selected foreign countries. 

Our guidance to clients on international tax law includes:

  • Entity classification
  • Repatriation
  • Structuring hybrid debt and other securities transactions
  • Transfer pricing
  • Foreign tax credit planning
  • Financial products
  • Subpart F planning
  • Foreign acquisition of U.S.-based real estate
  • Cross-border planning
  • International compensation

There is very little HB attorneys can’t do for us. On the extraordinarily rare occasion that HB attorneys do not feel they have the precise skills we need on a given matter, they are very candid and honest in saying so. This level of integrity and genuine care for our success is one of the key reasons we continue to return to HB.

Deputy Counsel
Public Research University