Eduardo Bandera Monter

Associate since 2024

Eduardo has broad experience in general corporate law, focusing his practice in the areas of financings and securities, mergers and acquisitions, real estate, sports and entertainment.

 

During his professional career, Eduardo has advised several companies and banking institutions in financing transactions (including syndicated loans) and in the implementation of guaranty schemes, as well as domestic and foreign buyers, sellers and investors in M&A transactions, joint ventures and strategic alliances.

 

Additionally, Eduardo has represented numerous clients in the negotiation, drafting and implementation of various contracts, sponsorships and licenses for commercial transactions in the field of entertainment and sports law.

+52 (55) 5201-7546
ejbandera@macf.com.mx
Languages
  • Spanish
  • English

Contact

The experience and educational background of our professionals form the foundation of our practice.

Our continuous dedication and preparation ensure that each client receives high-quality legal representation, backed by a solid foundation of knowledge and experience.
Education
  • Law Degree, Universidad Iberoamericana, 2023
Experience
  • Law Intern, Mijares, Angoitia, Cortés y Fuentes, 2020-2023
Contact
Cliente satisfecho estrechando la mano con un abogado: Cliente feliz con servicio legal en Mijares, Angoitia, Cortés y Fuentes S.C.

Awards

The awards we have received support our dedication to excellence in every practice area.

News

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August 12, 2026
On August 7, 2026, the Ministry of Finance and Public Credit published Agreement 115/2026 in the Official Gazette of the Federation, amending, adding, and repealing various provisions of the General Rules (RCG) referred to in the Federal Law for the Prevention and Identification of Operations with Illicit Proceeds (LFPIORPI).
August 6, 2026
On July 28, 2026, the United States Department of Justice (“DOJ”) issued, for the first time, a declination of prosecution under its new Corporate Enforcement Policy (“CEP”) in favor of companies. The companies voluntarily self-disclosed prior to any government investigation, cooperated fully with authorities, and took timely remedial action, including strengthening their policies and their corporate criminal compliance programs.