Tax consulting with a comprehensive business perspective
Specialized law firm that combines solid expertise in Tax Law with a deep understanding of business logic, delivering advisory services aligned with your business and estate planning objectives, with close attention and long-term commitment
For companies and individuals requiring tax advisory tailored to their business reality
Our Areas of Practice
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We advise on the design and structuring of companies from a Tax Law perspective for businesses, business and family holding companies, and new ventures. Our approach integrates regulatory analysis with an understanding of business operational logic, enabling corporate structures that respond to both compliance requirements and business objectives.
We work on the proper separation of business and personal assets, and on organizing corporate structures that facilitate business operations, growth, and each client’s long-term objectives. We analyze the tax effects of different structuring alternatives so that each client can make informed decisions aligned with their business reality.
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We advise entrepreneurs and business families on family holdings and the tax aspects of generational succession. One of our clients’ main concerns is how to plan the succession of their family business and estate, integrating the next generation into the ownership and management of the business, without losing the vision and principles that guide the family. We accompany these processes with Tax Law analysis that considers the particularities and objectives of each family group.
Our advisory includes personal tax aspects for the entrepreneur and their family: Global Complementary Tax on withdrawals and dividends, property taxes, tax effects of asset transfers, inheritance and gift reception, and personal investments. We analyze the tax effects of personal and estate operations considering both domestic and international perspectives when the estate has cross-border components.
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We analyze the tax effects of business operations and business models. We work with companies that need to understand the tax implications of specific transactions, new projects, or changes in their operations, delivering legal opinions grounded in current legislation and case law.
We offer tax retainer services for companies and accounting teams that require specialized legal advisory on an ongoing basis. This model allows for continuous support to resolve tax queries that arise in the company’s day-to-day operations, facilitating informed decision-making and timely regulatory compliance.
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We advise companies and individuals with operations or assets abroad, as well as foreign companies and individuals conducting business or investing in Chile. For foreign companies seeking to start operations in the country, we provide support from the incorporation of companies to the tax aspects of their establishment and operations in Chile.
Our advisory includes the interpretation and application of Double Taxation Avoidance Agreements, permanent establishment analysis, and tax aspects of cross-border structures and operations. We work with clients who conduct business in multiple jurisdictions, analyzing applicable tax effects and considering compliance obligations in each country.
Our international training and experience enable us to provide bilingual advisory tailored to the needs of local clients with global operations and foreign clients with a presence in Chile.
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We advise on the Tax Law aspects of mergers, divisions, transformations, and other corporate reorganizations. We analyze the tax effects of different reorganization alternatives, considering both regulatory compliance and the business objectives of each process.
We work with companies that need to restructure their corporate organization, delivering advisory services that integrate an understanding of business logic with Tax Law analysis of the reorganization process and its implications for the company and its shareholders.
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We represent taxpayers in audit processes before the Chilean Internal Revenue Service, from the initial stages of notifications and summons to assessments and collections. We prepare the corresponding administrative defense, including responses to requirements, reconsideration requests, and challenges to SII actions.
When controversies are not resolved at the administrative level, we handle representation and defense before Tax and Customs Courts, Courts of Appeals, and the Supreme Court. We work at each stage considering both legal aspects and the impact on business operations.
We also represent taxpayers in administrative requests and procedures before the SII, such as administrative petitions, tax refunds, information updates, business registrations, and business closures.
Insights
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Property Tax Bill: Benefits for Seniors and Postponement of 2026 Revaluation
Property Tax Bill Benefits for Seniors and Postponement of 2026 Revaluation On October 28, 2025, the Executive presented to Congress Message No. 244-373, a bill that modifies property tax through three axes: expansion of benefits…
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Bill No. 17,725 Restrictions on the Presumptive Income Regime
Restricill No. 17,725 Restrictions on the Presumptive Income Regime Bill 17725-05 currently under discussion at the National Congress introduces significant modifications to the presumptive income regime, substantially limiting access to this simplified taxation system. These…
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Bill No. 17,725 Compensatory measures and their impact on high income individuals and investments
Bill No. 17,725 Compensatory measures and their impact on high income individuals and investments Bill 17725-05, in addition to introducing benefits for the middle class and SMEs, incorporates compensatory measures to maintain fiscal neutrality. These…



