• Development of a tax effective structure of assets or business ownership as well as tax effective structuring of trans-border operations
• Analysis of the impact of Tajik and international de-offshorization legislation, including BEPS, on your business and development of a practical action-plan on mitigation of potential negative consequences
• Structuring trans-border and foreign M&A deals
• Identification of tax effectiveness increase opportunities in relation to international or trans-border operations
• Complex support to companies entering international markets
• Tax expertise of documentation supporting international or trans-border deals
• Advice on various international tax issues