Tax On Corporate Transactions: Ireland

MG
Maples Group

Contributor

The Maples Group is a leading service provider offering clients a comprehensive range of legal services on the laws of the British Virgin Islands, the Cayman Islands, Ireland, Jersey and Luxembourg, and is an independent provider of fiduciary, fund services, regulatory and compliance, and entity formation and management services.
In this Practical Law Guide, Andrew Quinn, William Fogarty and Lynn Cramer of our Tax team in Dublin, give an overview of corporate tax transactions in Ireland
Ireland Insolvency/Bankruptcy/Re-Structuring

In this Practical Law Guide, Andrew Quinn, William Fogarty and Lynn Cramer of our Tax team in Dublin, give an overview of corporate tax transactions in Ireland, and look at the practical issues, including the main taxes, reliefs and structures used in share and asset sales, dividends, mergers, joint ventures, re-organisations, share buybacks, private equity deals and restructuring and insolvency.

In this Practical Law Guide, Andrew Quinn, William Fogarty and Lynn Cramer of our Tax team in Dublin, give an overview of corporate tax transactions in Ireland, and look at the practical issues, including the main taxes, reliefs and structures used in share and asset sales, dividends, mergers, joint ventures, reorganisations, share buybacks, private equity deals and restructuring and insolvency.

Read the guide here

This Q&A is part of a global guide to tax on corporate transaction and was first published by Thomson Reuters. 

Originally published July 15, 2020.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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