Andrew Goodman

Andrew is a Partner in the Private Wealth team at Osborne Clarke, specialising in all aspects of personal tax and estate planning, in particular trusts, the structuring of family wealth and related litigation.
Andrew regularly acts for multinational families and entrepreneurs requiring help with personal taxes as well as asset protection, intergenerational succession and family governance arrangements. He also advises professional trustees in Jersey, Guernsey, Switzerland and the Cayman Islands in relation to new trusts, variations of all kinds and the proper exercise of their duties. His practice covers the wide spectrum of advice required by the international client including bespoke trust and investment holding structures, family offices and charities.
Andrew is described in Chambers & Partners as “rated ‘enormously highly’ by interviewees, who are impressed by his intellectual ability and efficiency”. In 2010 Andrew was included in The Lawyer’s prestigious ‘Hot 100’ list.
Andrew studied law at University College London, qualifying at the Chancery Bar before converting to become a solicitor in 2001. Andrew joined Osborne Clarke in 2015 from Taylor Wessing.
Andrew Goodman is very calm and measured. Technically excellent and easy to deal with."
We look at how an excepted group life policy (EGLP) scheme can help to solve lifetime allowance problems.
The extension of tax support measures for businesses featured prominently, paving the way for tax rises later
Increased costs due to the new 2% surcharge could affect some UK resident buyers
An extension of tax support measures for business is possible but it is questionable whether now is the right time...
The Covid-19 crisis has exacerbated the need to raise additional tax revenues – and an increase in CGT rates won't...
The conclusion of the Brexit post-transition arrangements has brought an unexpected but welcome restriction to the application of the DAC6...
The deferral is in line with other Member States' approach to extending the reporting dates for disclosing cross-border tax arrangements...