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English and Luxembourg Private Equity Funds: Key Features

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This practice note provides an overview of the basic structure of a typical private equity fund, highlights some differences between English and Luxembourg private equity funds and outlines some of the UK and Luxembourg issues involved in forming and marketing a private equity fund.  It also addresses certain aspects of Scottish limited partnerships, however the laws that govern limited partnerships formed under the laws of the British Virgin Islands, the Cayman Islands, Guernsey or Jersey fall outside the scope of this note.

This note first appeared in Thomson Reuters Practical Law Note, English and Luxembourg private equity funds: key features published by Thomson Reuters and co-authored with DLA Piper in June 2020.

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English and Luxembourg Private Equity Funds: Key Features
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