Tax Considerations in Cross-Border Transactions and Financing
Description
Cross-border deals succeed or fail on tax execution: acquisition structure, financing flows, WHT, interest limitation, exit planning, and post-deal integration. This session walks through considerations for M&A, restructurings, and intragroup financing, including hybrid instruments, guarantees, security packages, and cash repatriation. We’ll cover how to model after-tax returns, document purpose, manage substance, and coordinate legal, accounting, and operations, including pricing adjustments, earn-outs, and covenant packaging efficiently.
This webinar provides one-hour of CPD and offers insights and updates from a leading industry-expert speaker.
Delegates places are interchangeable with colleagues from the same organisation.
Content
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Acquisition structuring and funding pathways
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Interest limitation, hybrids, and anti-avoidance risks
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WHT, treaty positions, and cash repatriation
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Transaction documentation and purpose/evidence
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Post-deal integration, exit planning, and governance
Presenter
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TBC . |
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Bio to follow. |