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350 results found


Dentons | Poland | 25 Apr 2017

Alternative Investment Company - deadline for regulatory adjustment will end June 4, 2017

On June 4, 2016 amendments to the Act on Investment Funds (the “Act”) entered into force. The purpose of the amendment is implementation in the Polish


Morrison & Foerster LLP | USA | 19 Jan 2017

Social Impact Funds: Structuring Considerations

Impact investing, generally speaking, refers to investments made into companies, organizations, and funds with the intention to generate measurable


Barnea | Israel | 29 Dec 2016

Innovations in the Israeli Partnerships Legislation

In recent decades, corporate laws in general and partnership laws in particular have undergone significant changes throughout the world, including


Harneys | Cayman Islands | 1 Dec 2016

Private Equity in the Cayman Islands

All of the above entities can be established on an expedited basis and no governmental or regulatory approvals are required...


Jeffer Mangels Butler & Mitchell LLP | USA | 23 Sep 2016

Using the Uniform Transfers to Minors Act for Minor Investors in EB-5 Investment Funds

The USCIS stated in a stakeholder call on July 28, 2016 that minors can be primary applicants on I-526 petitions for visas under the EB-5 Program


King & Wood Mallesons | Luxembourg | 25 Jul 2016

Reserved Alternative Investment Funds - A new vehicle for the Luxembourg investment funds toolbox

On 14 July 2016, the Luxembourg Parliament adopted a new law (the "RAIF Law") introducing a new vehicle to the toolbox of Luxembourg investment


Katten Muchin Rosenman LLP | USA | 28 Jun 2016

Structuring Equity Interests for Independent Sponsors

In a traditional private equity fund, the fund managers will raise money from investors to establish a pool of capital the fund can then use to


LK Shields | Ireland | 5 Sep 2012

Qualifying Investor Funds

Qualifying Investor Funds (QIFs) have become increasingly popular as structures for the holding of real estate assets.


Paul Weiss | USA | 9 Nov 2011

IRS proposes favorable changes to sovereign wealth funds’ U.S. tax exemption

The IRS issued proposed regulations last week that will make it easier for sovereign wealth funds and other entities controlled by foreign governments to invest in private funds without jeopardizing their exemption from U.S. federal income taxation under Section 892 of the Code.


Landwell | Czech Republic | 17 Oct 2011

Taxation of dividend income

The Czech government has passed an amendment to the Income Taxes Act to Parliament that should be valid from 2013.

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