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M&A Tax Structuring 

M&A transactions provide unique opportunities to improve tax efficiency.  Tax risks also need to be managed and to select a suitable tax structure for the transaction, the existing organisational and tax structure of the acquirer in China needs to be taken into consideration as well.  The optimal tax structure for the acquirer does not always align with the tax structuring that is optimal for the seller from the disposal view of the transaction.
 
Is this your situation?
 
You are considering acquiring or disposing a business in China and are looking for the optimal tax structure.
 
How PricewaterhouseCoopers can help
 
PricewaterhouseCoopers has a team of dedicated M&A tax experts (M&A Processes and Solutions) helping clients identify and seize the opportunities that arise from the transaction and manage the risks using our proven methodology.  We help clients to identify the principal concerns that will determine the right structure for a transaction.  PricewaterhouseCoopers understands the demands of the tax authorities and we are able to meet with the tax authorities to explain our position and to obtain approvals that may be necessary.  In addition, we produce detailed and comprehensive documents explaining the advantages and disadvantages of certain suggested structures to you, enabling you to make the decision that most fit your specific needs.

Contacts
Nick Dignan
Regional Tax M&A Leader
Hong Kong
Tel: +[852] 2289 3702 Email
Danny Po
China M&A Tax Leader
Hong Kong
Tel: +[852] 2289 3097 Email
Howard Yu
Partner
Beijing
Tel: +[86] (10) 6533 2007 Email
Janet Xu
Partner
Guangzhou
Tel: +[86] (20) 3819 2193 Email
Catherine Tsang
Partner
Shenzhen
Tel: +[86] (755) 8261 8383 Email
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