Ulli Philip Biewener

Senior Director
11+ years of experience in advising on tax-related matters
Clients across various industries, including consumer products, energy, and life sciences
Certified tax advisor in Germany
Duesseldorf
@alvarezmarsal
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Ulli Philip Biewener is a Senior Director with Alvarez & Marsal Tax in Düsseldorf. He has more than 11 years of experience in advising clients in the design and implementation of operating models focusing on indirect tax aspects.

Mr. Biewener’s notable assignments include the design and implementation of branch and other operating models with various clients. Notably, Mr. Biewener was responsible for the indirect tax workstream of a global procurement organization implementation project. He has worked with clients across various industries, including consumer products, energy, and life sciences. 

Prior to joining A&M, Mr. Biewener spent over seven years with the EY Indirect Tax team in Düsseldorf, where he most recently served as Senior Manager. During his time with EY, he supported clients on complex indirect tax matters arising from the restructuring of business operations and conducted VAT and general tax audits as well as extensive self-disclosures.

Mr. Biewener earned a diploma in tax (Diplom-Finanzwirt (FH)) from the Hochschule für Finanzen NRW and is a certified tax advisor in Germany.
 

Insights By This Professional

Das BMF konkretisiert die umsatzsteuerliche Behandlung von Direktverbrauch, Zuschüssen und Stromspeichern. Für Betreiber von Energieanlagen ergeben sich neue Klarstellungen – und konkreter Handlungsbedarf.
The German Ministry of Finance (BMF) has issued updated guidance on the VAT treatment of self-consumption, subsidies, and input tax deduction. Operators of energy generation plants will now face new clarifications—and specific action points.
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Thought Leadership
In many M&A share transactions, tax losses may represent significant hidden value. But that value depends particularly on two key questions: Can the tax losses survive the transaction and can the parties mutually agree on a business plan substantiating the future usage of the potentially surviving tax losses? Our article outlines how jurisdiction-specific rules — especially Germany’s strict change-in-ownership regime — affect the usability of tax losses post-closing, whether tax losses can provide a shelter for historic tax risks and why tax losses impact purchase price negotiations.
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