
Kromann Reumert’s tax practice provides comprehensive advice across all areas of Danish and international taxation, including VAT, transfer pricing, incentive schemes, tax strategy and optimisation, as well as high-stakes litigation concerning both direct and indirect tax. The team is jointly led by Arne Møllin Ottosen, a specialist in tax litigation, corporate taxation and transfer pricing, and Michael Nørremark, who combines deep expertise in corporate taxation with strong corporate law capabilities.
Legal 500 Editorial commentary
Testimonials
Collated independently by Legal 500 research team.
- ‘Michael Nørremark is an outstanding practitioner. He is responsive and highly technical with good commercial awareness.’
- ‘Good experience and technical insight.’
- ‘Arne Møllin is very pleasant and skilled to work with.’
- ‘Arne Møllin Ottosen is always reachable within a short period of time, service-minded, gives to the point guidance and has a strong understanding of our business.’
- ‘Kromann Reumert is a very professional company delivering strong legal advice across all legal disciplines. Very commercial and solution-oriented with strong customer focus.'
- ‘Strong tax professionals who can include other legal disciplines in tax projects, they are solution-oriented with a very detailed and broad knowledge.’
Key clients
- Akamai Technologies
- Apple
- Carlsberg A/S
- Axcel Management A/S
- Cook Group
- Danske Bank A/S
- Genmab A/S
- Goldman Sachs
- Hoffmann la Roche
- Invacare Inc.
- ISS A/S
- JPMorgan
Work highlights
Advising a major US company in a precedent-setting Danish tax dispute, successfully securing repayment of misapplied penalty interest after arguing that the statute of limitations was suspended due to authority error. The matter is valued at DKK 50 million.
Advised Global Auto Holdings on Danish tax aspects of its DKK 7.9 billion ($1.17 billion) acquisition of K.W. Bruun’s import and digital businesses. The transaction involved one of the largest automotive retail groups globally and marked one of Denmark’s largest M&A deals in 2024.
Advising a major international bank in a high-profile Danish tax litigation concerning the time bar for reclaiming excess dividend withholding tax. The case has been successfully argued before the Tax Tribunal and High Court, and is now pending before the Supreme Court, with significant precedent-setting implications for shareholders across Denmark, France, Germany, and the United Kingdom.
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Practice head
Arne Møllin Ottosen; Michael Nørremark
