Co-managing partner of Osborne Clarke España, Chair of Osborne Clarke's International Council and a partner in the tax department of Osborne Clarke Spain, Miguel advises both Spanish and international clients in transactional work, consultancy and tax litigation.
He has more than twenty years experience in corporate finance work having advised many international private equity funds and financial investors in a long list of LBOs, reorganisations and disposals. In addition to private equity Miguel is active in a variety of industrial sectors, namely financial institutions, infrastructure and energy, and real estate.
He is particularly active structuring transactions in Brazil and advising Brazilian clients investing abroad, taking advantage of his knowledge of the complex Brazilian tax environment.
He joined Osborne Clarke in 2014 and previously was a tax partner at Freshfields Bruckhaus Deringer.
Miguel is a regular contributor to IBFD Derivatives and Private Equity magazines, and is a member of the International Fiscal Association.
Miguel is listed in Chambers, Legal 500, Tax Directors Handbook, International Tax Review and Best Lawyers International.
“Miguel Lorán is highly recognised in the market. Clients describe him as ‘very strong technically and a strategic thinker’. He gives really succinct and clear, robust advice.”
“The tax lawyer with the best M&A know how I have ever seen.”
Grifols
Advised Grifols on EUR1.1bn Biotest acquisition, read more.
Insights
Spain introduces new tax reporting obligations for virtual currencies
Spanish General Directorate of Taxes decides preparatory phase of renewable energy projects is not business activity
The tax treatment of assignment of vehicles to employees
Working from home and its tax implications in Spain – Ruling from the Spanish Directorate of Taxes dated 18 January 2022
Principales medidas fiscales de la Ley de Presupuestos Generales del Estado de 2022
The Spanish municipal tax on the increase in value of urban land is declared unconstitutional
Draft of the General State Budget Law for year 2022: summary of the main tax measures proposed
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With tax authorities often sceptical about the motives behind corporate decision-making, recording and being able to demonstrate the commercial rationale...
TMC Tax Focus | International arrangements under the spotlight
Increased globalisation of companies in the Tech, Media and Communications sector has led to Tax Authorities clamping down on tax...
TMC Tax Focus | Profit attribution in a changing commercial environment
An international focus on preventing 'base erosion and profit shifting' (or 'BEPS') has brought in fundamental changes to the allocation...
TMC Tax Focus | Common tax incentives for IP rich businesses
With falling headline corporate tax rates, we look at what other ways jurisdictions are trying to encourage IP rich companies...