Dominic Stuttaford
Global Head of Tax
Norton Rose Fulbright LLP
Related services and key industries
Biography
Dominic Stuttaford is a tax lawyer based in London, and head of tax for Europe, Middle East and Asia. He focuses on the tax aspects of corporate finance and other finance transactions and structures, with a particular interest in the insurance, resources and technology sectors. He trained at the firm and became a partner in 1999.
Dominic’s experience includes: mergers and acquisitions of public and private companies; group restructurings; acquisitions; and other finance structures. He also has a very active litigation practice, both in the UK and internationally.
Dominic has been recommended in Chambers and Partners, The Legal 500 and Who's Who Legal for his capabilities as a tax lawyer.
Professional experience
Collapse all- Solicitor, qualified in England & Wales
Chambers
Dominic has been around for a while. He cuts through the complex legal stuff to get to what matters to clients.
Legal 500
Dominic Stuttaford has a brain the size of a planet, and what he doesn’t know about tax law isn’t worth knowing. It’s impossible not to feel in awe when he explains a complex tax statute or authority with such ease and simplicity. He’s a stunningly impressive tax practitioner.
Dominic Stuttaford is a high calibre and very quick thinking tax partner who has been managing an extremely complex tax case with many twists and turns.
Dominic Stuttaford is vastly experienced, deeply interested in tax and a real pleasure to work with.
Dominic is a member of the Law Society International Tax Committee and the Chartered Institute of Taxation (CTA).
He is on the editorial committee of the Practical Law for Companies (PLC).
News
Norton Rose Fulbright advises bp on strategic gas joint venture in Egypt
February 28, 2024
Insights
“Unallowable purpose” following Blackrock, JTI and Kwik-Fit – is the law now settled?
Publication | November 18, 2024
Autumn Budget 2024: filling the “black hole”?
Publication | October 30, 2024
When does the buyer of corporate debt lose tax treaty benefits?
Publication | 1 October 2024