Liam is an associate in Clyde & Co’s tax group and is based in the Dubai office. He advises international clients, including large multinationals, private equity firms, and investment funds on a wide range of tax issues, including disputes / tax controversy matters, mergers and acquisitions (M&A), international tax structuring, and advisory.
Liam has advised clients operating across a diverse range of sectors, including financial services, mining, oil and gas, and telecommunications.
Liam graduated with a Juris Doctor (JD) from the University of Melbourne in 2017. Liam is admitted as a solicitor in Australia and is a Chartered Accountant (Chartered Accountants Australia and New Zealand).
Prior to joining Clyde & Co, Liam worked at PwC Australia (Melbourne) and PwC Middle East (Dubai).
Expérience
Prior to joining Clyde & Co:
Advising a Middle Eastern sovereign wealth fund on several renewable energy deals covering multiple jurisdictions across the Middle East, Africa, Europe and Asia.
Advising a Middle Eastern bank on tax matters, including tax structuring, associated with establishing a regional digital bank.
Advising several large multinationals on BEPS 2.0, with a particular focus on the impact of Pillar Two, including structuring, compliance and availability of optimisation / mitigation strategies.
Successfully resolved a significant Australian Taxation Office audit for a multinational consumer packaged goods supplier, resulting in the withdrawal of claims, for a potential tax exposure exceeding AUD 20 million.
Advising UHWNIs and large multinationals in the food and beverage, medical, retail, and technology sectors in tax controversy and dispute resolution matters, ranging from pre-engagement review to litigation.
Advising one of the largest multinational utility businesses in the world on the application of Australia’s tax loss, consolidation and anti-avoidance laws to group restructuring and M&A activity.
Advising a large multinational US-headquartered software business, including tax advice on acquisitions in Australia, migration of IP to an offshore IP hub, and group restructuring.
Advising AirTrunk, a multinational hyperscale data centre business, including support throughout the rapid growth phase of the business. Advising on tax matters associated with the divestment of a third-party stake in the business from Goldman Sachs and TSSP to Macquarie Infrastructure and Real Assets (MIRA).