Showing 651 - 660 of 690 for "Brazil" with applied filters
04 July 2022 by
Abreu Advogados advised Utrust - a Portugal-based fintech company that intends to revolutionize cryptocurrency payments by allowing merchants to accept “payments” in cryptocurrencies in a swift manner and with conversion to fiat - in expanding its services to the Portuguese real estate market.
14 June 2022 by
Headquartered in São Paulo and operating throughout Brazil for 18 years, our firm started 2022 by reinforcing its practice in Brasília.
21 April 2022 by
The law firm led by Inês Sequeira Mendes had a 14% growth in revenue compared to 2020, followed by a strengthening of its main practice areas, in an exceptional year marked by the advisory of major transactions and the development of innovative projects.
28 March 2022 by
Abreu reinforces its leadership position in Oporto with the integration of a renowned law firm, especially in the northern region of the country, with more than 30 years of activity.
28 February 2022 by
Abreu Advogados and J+ Legal advised the purchase and sale of the Portuguese biopharmaceutical company GenIbet which is now the latest acquisition of the multinational Recipharm, in a landmark operation of the first quarter of the year in the Portuguese Pharmaceutical and Life Sciences sectors.
14 February 2022 by
Abreu Advogados was the firm that, in Portugal and in the context of an international team, advised Embraer Portugal in the transfer to the Spanish company Aernnova Aerospace, S.A.U., of its factories in Évora (Portugal), operated by Embraer Portugal Estruturas Metálicas and Embraer Portugal Estruturas em Compósitos.
01 November 2021 by
Deloitte Americas Regional Profile (Indirect Tax)
18 October 2021 by
Deloitte Americas Regional Profile (Tax Controversy)
28 September 2021 by
Our most comprehensive edition yet with more rankings, firms, jurisdictions and profiles
29 July 2021 by
Brazilian tax authorities have recognized this last June, through Advance Tax Ruling No. 98/2021, that forced heirship advancement, made through the gift of closed-end investment fund quotas, is not considered redemption of investment for tax purposes and, as such, does not trigger income tax when made at cost basis.