International Taxation

The firm has a specialized practice for international tax issues and professional attention to permanent establishments in Mexico.

We maintain an internationalist approach to income tax for direct foreign investment, according to the requirements of business plans, investment commitments, areas of economic activity and bases for eventual disinvestments, among many other aspects.

The firm has gained recognition for its participation in multiple cutting-edge operations related to the application and interpretation of double taxation avoidance agreements entered into by Mexico, including documents considered as suitable means for their interpretation, BEPS rules, literature and doctrine issued internationally.

The provided advice has also included implications in international indirect tax operations, particularly value added tax (VAT), issues related to tax residence, as well as compliance with Mexican regulations on Mexican investments abroad.

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