This panel will discuss the tax issues related to the use of contingent debt instruments in cross-border transactions, including (i) exploring the different definitions of contingent debt, (ii) issues in connection with the portfolio interest exception, (iii) FIRPTA considerations, and (iv) the treatment of contingent debt under U.S. tax treaties.
The online event starts at 12:00 PM ET.
For more information and registration, please click here.