Mandate

Vinge advises MultiQ International AB on the acquisition of Public Systems Nordic AB

September 04, 2013

Vinge advises MultiQ International AB, listed on Nasdaq OMX Small Cap, in connection with the acquisition of Public Systems Nordic AB and the SEK 15m new issue of shares with preferential rights conducted in connection with the acquisition. Through the acquisition, Sweden’s largest company within monitor solutions for public spaces, so called Digital Signage, is created. The purchase price for the acquisition of Publiq is paid through the issuance of new shares in MultiQ.

The Vinge team advising MultiQ International AB includes partner Jesper Ottergren and, among others, associates Marcus Bergdahl and Christian Lindhé. Further, partner Erik Sjöman provides advice on capital markets regulations and Ingela Malmborg provides employment law advice.

The Swedish rules on cabotage transport and posting will change on 2 and 21 February 2022

The Swedish government has decided on a number of new rules concerning cabotage transports, combined transports, transport customer responsibility for driving and rest times and posting of workers.
January 21, 2022

Vinge presents the Swedish chapter for the 2022 version of The Legal 500: Private Equity Country Comparative Guide

The guide provides an overview of the Swedish Private Equity market and the salient legislation in connection with PE transactions in Sweden.
January 11, 2022

The prohibition imposed by EU law on complying with secondary sanctions laid down by the United States against Iran may be relied on in civil proceedings

On Tuesday 21 December, the EU Court of Justice delivered its long-awaited judgment in the Bank Melli Iran case (Case C-124/20) on the interpretation of the EU Blocking Statute regarding compliance with third country sanctions. According to the Court, the prohibition imposed by EU law on complying with secondary sanctions laid down by the United States against Iran may be relied on in civil proceedings. Following the Court’s judgment, anyone seeking to terminate a contract with a person or business subject to US sanctions must thoroughly consider if the termination is motivated by other reasons than the existing sanctions and reflect on whether to apply to the Commission for a derogation from the Blocking Statute.
December 23, 2021