Short answer
The parties may choose the law governing the transaction agreement; however, the corporate, competition, and employment law rules of the country where the target company is located are often mandatory. In Turkish–German transactions, we secure the structure by taking both systems into account.
The parties may choose the law governing the transaction agreement; however, the corporate, competition, and employment law rules of the country where the target company is located are often mandatory. In Turkish–German transactions, we secure the structure by taking both systems into account.
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