Bruno Aniceto da Silva

Senior Advisor
15+ years of experience in international tax policy
Areas of focus include BEPS and the Pillar Two Global Minimum Tax
Hong Kong
@alvarezmarsal
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Bruno Aniceto da Silva is a Senior Advisor with Alvarez & Marsal Tax in Hong Kong, China.

Mr. Aniceto da Silva has 15 years of experience in tax policy and international taxation. His areas of focus include BEPS and the Pillar Two Global Minimum Tax.

Prior to joining A&M, Mr. Aniceto da Silva acted as a BEPS expert, advising governments, and worked for international organizations and development agencies. Before that, he worked for 18 years in top law firms in Portugal and the Netherlands

Mr. Aniceto da Silva earned a bachelor’s degree in law from the University of Lisbon, an LLM in international tax law from Vienna University of Economics and Business, and a PhD in law from the University of Amsterdam. He is a member of the Portuguese Bar Association.

Insights By This Professional

The Tax Policy and Controversy (TPC) group at A&M Tax brings forward expert perspectives on the key developments shaping global tax policy.
Transfer Pricing Update: OECD Chapter VII proposes revised guidance on intra-group services, accurate delineation, benefit test, method selection, and documentation.
A&M Tax Policy Insights covers Pillar Two GIR filing, side‑by‑side safe harbors, DST developments, transfer pricing updates, CBAM, crypto and capital gains reforms, treaties, tariffs, and controversy trends impacting multinationals.
Global Tax Policy Q1 2026 outlook: Pillar One/Two updates, treaty abuse trends, GIR MCAA expansion, regional reforms, and controversy highlights across jurisdictions.
Latest insights The latest insights from Bruno Aniceto da Silva's team
Thought Leadership
The Hong Kong Government gazetted the long-awaited Inland Revenue (Amendment) (Preferential Tax Regimes for Funds, Family-owned Investment Holding Vehicles and Carried Interest) Bill 2026 (the “Bill”) on 12 June 2026. The Bill proposes enhancements to the existing preferential tax regimes for funds, family owned investment holding vehicles (“FIHVs”) managed by single family offices and the carried interest concession.