Cormac Kelleher Partner, International Tax
2016
Becomes a partner at Mazars Ireland
Cormac is an international tax partner, with a particular focus on inward investment. He specialises in cross border corporate structuring, transfer pricing and mergers and acquisitions. He has extensive experience in the areas of technology, real estate and financial services.
Cormac works with a number of owner managed, listed and foreign owned multinational businesses. He works closely with our overseas teams to ensure a seamless delivery for clients operating internationally, and advises owners and their businesses at each stage of their lifecycle.
A member of Chartered Accountants Ireland and the Irish Institute of Taxation, Cormac lectures on international tax issues both in Ireland and abroad, as well as contributing to various publications.
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Pages associated to Cormac Kelleher
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- Tax newsletters
- The Future of Business Podcast - Season 1
- Update to Ireland’s corporation tax roadmap
- Introduction of interest limitation rules in Ireland
- OECD minimum tax rate: What to expect following Ireland’s agreement
- Irish interest limitation rules - ILR
- Domestic exemptions from transfer pricing rules – welcome clarification
- Proposed EU Commission directive to “unshell” shell entities
- How is cryptocurrency taxed in Ireland?
- Update on domestic exemption from Irish transfer pricing rules
- Update on the OECD inclusive Framework on BEPS – Pillar One and Two
- 2023 Budget briefing
- Interest Limitation Rules
- Reminder: Temporary Business Energy Support Scheme (TBESS) claims - upcoming deadlines
- Revenue could lose tax defaulters' list
- Taxation of non-resident corporate landlords
- Accounting for BEPS – Pillar Two
- Finance (No. 2) Bill 2023 measures affecting Irish financial services companies
- Section 110 securitisation in Ireland
- The taxation landscape for aircraft lessors in Ireland
- Understanding Pillar Two: Implications of the Finance (No. 2) Act 2023 on Corporate Taxation in Ireland
- Feedback statement on foreign dividend participation exemption