Legal Guidance and Research / Experts / Alexander Beesley
Alexander Beesley#12574

Alexander Beesley

I regularly act for clients ranging from entrepreneurs and investors to large multinationals, financial institutions, and corporations across all the firm's sectors, including Energy & Utilities, Financial Services, and Technology & Communications. With clients in these spaces often operating on a multi-jurisdictional level, my advice is usually provided within an international framework.

I have a particular focus on assisting clients on M&A and financing deals, corporate structuring and re-structuring, as part of their plans to expand their businesses both in the UK and internationally. My expertise also extends to advising individuals and corporations on employment tax issues, particularly in relation to the IR35 regime.

Practice Area

Panel

  • Contributing Author

Qualified Year

  • 2023

Experience

  • LexisNexis (2010 - 2015)

Qualification

  • LLB English Law and German Law (First Class Degree)

Education

  • University of Bristol (2018)

1 Contributions by Alexander Beesley

UK tax implications for cross-border joint ventures: structuring, asset transfers, financing (debt/equity), withholding taxes, CFCs, hybrid mismatches, loss relief, profit extraction and exit
PRACTICE NOTES
UK tax implications for cross-border joint ventures: structuring, asset transfers, financing (debt/equity), withholding taxes, CFCs, hybrid mismatches, loss relief, profit extraction and exit
This Practice Note This Practice Note examines the principal tax considerations that arise when setting up, managing and winding up an international joint venture, in addition to those encountered with a domestic UK joint venture... For guidance on the UK tax aspects of domestic joint ventures, refer to the following Practice Notes: Tax implications of contractual joint ventures Tax implications of establishing a joint venture partnership Tax implications of operating and terminating a joint venture partnership Tax implications of establishing a joint venture company Tax implications of operating and terminating a joint venture company For this Practice Note, an international joint venture is treated as an arrangement where either the joint venture vehicle (if there is one) or at least one joint venture party is not UK tax resident. It is assumed throughout that the joint venture participants are corporate entities... For information on the corporate aspects of international joint ventures, see Practice Note: Cross-border joint ventures—overview...
Tax
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