Tax Strategies for Corporate Acquisitions, Spin-Offs, etc. 2018 Skip to main content

Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2018

Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2018

Overview


Partner Caroline H. Ngo will speak at a session on ‘Restructuring Multinational Groups after the 2017 Tax Act’—part of the program for Practising Law Institute’s (PLI) three-day conference on ‘Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2018’, hosted in New York on October 17-19, 2018.

Caroline will speak on cross-border structuring issues and the impact of new GILTI, foreign-derived intangible income (“FDII”), base erosion anti-abuse tax (“BEAT”), Section 163(j) and anti-hybrid rules on the location of third party and intercompany financing arrangements, tangible and intangible asset ownership, and intercompany service and contract arrangements.

View further information on ‘Tax Strategies for Corporate Acquisitions, Dispositions, Spin-Offs, Joint Ventures, Financings, Reorganizations & Restructurings 2018’ here.

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