Insights, guides & briefings.
Working papers from our directors on cross-border structuring, banking, licensing, mobility and tax. Long-form guides for the topics that repay careful reading; short briefings when the news moves.
Tier-by-tier diagrams of holding stacks, funds, trusts, licensed entities and asset vehicles — with the tax drivers and the failure points.
Browse the library →The brief, the structure we built, the sequence of steps, the timeline and the fee model — real files, identifying detail removed.
Read the files →Results

The 15% floor: who Pillar Two actually catches, and who thinks they are caught but is not
The global minimum tax applies to groups above a €750m consolidated revenue threshold — yet it is reshaping decisions far below that line, often wrongly. This briefing separates who is genuinely in scope, what the top-up mechanics do, and how mid-sized groups should read it.

UAE corporate tax, two years in: what actually changed
Two years into the UAE's 9 percent corporate tax regime, the headline rate is the least interesting number. Substance rules, transfer-pricing files, free-zone qualifying-income tests and the interaction with pillar-two now decide who pays and who does not. This briefing summarises what mainland and free-zone structures actually need on file heading into 2026.
Every insight starts as a real client file.
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