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Jonathan Schwarz focuses on international tax disputes as counsel and as an expert and advises on solving cross-border tax problems.

  • Double tax relief, tax treaties, transfer pricing, permanent establishments, Diverted Profits Tax, Digital Services Tax, Global Minimum Corporate Tax, cross-border corporate and commercial transactions, withholding taxes, residence, domicile, EU tax law, property investment, exploitation of intellectual property and digital economy taxation, shipping, air transportation and tonnage tax;
  • Internationally mobile employees including cross-border pensions, entertainers and sportspeople;
  • Cross-border joint ventures and private equity, group structures, finance, CFCs, investment funds and management taxation;
  • Treaty mutual agreement procedures as well as tax-related commercial and investment treaty arbitration;
  • International tax enforcement and exchange of information.