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Thank you for your interest in contacting the Maldonado Law Group.  Do not submit any confidential information about your matter, please only provide us with the following details so that we may perform a determination of any potential conflicts of interest with counseling or representing you in your matter:

  • A brief summary of the subject matter
  • A list of the parties involved, and
  • Your full contact information - including name, address, phone number and email address

Following such conflicts determination, we will contact you to inform you of the results and, provided there is no conflict, to discuss the details of your matter and how we may best assist you. A response may take up to two business days.

Please note that the information you should not be confidential and will not remain as such. Also, submitting this information does not create an attorney-client relationship. 

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619-342-1422

Maldonado Myers LLP is a premier cross-border law firm with lawyers licensed to practice in both the United States and Mexico.We offer represent clients in the following practice areas: US-Mexico crossborder business litigation and arbitration, US-Mexico crossborder probate, obtaining evidence in Mexico for use in US-based litigation, enforcement of US judgments and arbitral awards in Mexico, Mexico litigation and Mexico real estate transactions

International Tax

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International Tax

Our firm provides clients general tax planning for businesses and individuals, both domestic and foreign, assisting clients with planning, structuring and implementing tax efficient structures.  

We also represents clients with the tax aspects of their cross-border transactions, helping them devise the most tax efficient structures for their international affairs. 

Our tax practice is focused primarily on the following areas: 

  • Planning and creation of corporate and business structures in foreign jurisdictions.
  • Cross-border tax planning (creation of structures seeking to minimize global tax and provide offshore asset protection).
  • Real estate transactions and creation of real property ownership structures in foreign jurisdictions.
  • Minimizing tax impact in cross-border commerce and trade.
  • FATCA and CRS compliance.