The Legal 500

DLA Piper Oman LLP

What we say about the firm's legal practice in Oman

Legal market overview

Within Legal market overview,

International firms with an office presence in the jurisdiction include Curtis, Mallet-Prevost, Colt & Mosle LLP; DLA Piper Oman LLP; SNR Denton; and Trowers & Hamlins. Each was in a position to report a solid year.

Projects and energy

Within Projects and energy, DLA Piper LLP is a second tier firm,

Led by the experienced Bruce Mullins, DLA Piper Oman LLP continues to handle work for the Government of the Sultanate of Oman; one highlight saw the team advising on a $13bn investment in a major greenfield industrial port developed jointly with Port of Rotterdam.

Shipping

Within Shipping, DLA Piper LLP is a first tier firm,

DLA Piper Oman LLP advises the Ministry of Transport and Ministry of Finance on shipping-related matters.


Further information on DLA Piper LLP

Please choose from this list to view details of what we say about DLA Piper LLP in other jurisdictions.

Austria

Offices in Vienna

Belgium

Offices in Antwerp and Brussels

Germany

Offices in Cologne, Hamburg, Frankfurt, Munich, and Berlin

Egypt

Offices in Cairo

Spain

Offices in Madrid

Georgia

Offices in Tbilisi

Italy

Offices in Milan and Rome

London

Offices in London

Netherlands

Offices in Amsterdam

Norway

Offices in Oslo

North West

Offices in Liverpool and Manchester

Russia

Offices in Moscow and St Petersburg

Sweden

Offices in Stockholm

Ukraine

Offices in Kiev

West Midlands

Offices in Birmingham

Yorkshire and the Humber

Offices in Leeds and Sheffield

Legal Developments by:
DLA Piper LLP

  • Sentencing guidelines for corporate manslaughter

    In February 2010 the Sentencing Guidelines Council (the SGC) issued definitive guidelines to courts on imposing appropriate sentences for corporate manslaughter and health and safety offences causing death. The SGC states that fines imposed on companies found guilty of corporate manslaughter should not fall below £500,000, while fines in respect of health and safety offences that are a significant cause of death should be at least £100,000. Crucially, the SGC declined to provide for a fixed link between the imposed fine and the turnover or profitability of the offending company.

    - DLA Piper UK LLP

Legal Developments worldwide

Legal Developments and updates from the leading lawyers in each jurisdiction. To contribute, send an email request to