Market leading insight for tax experts
View online issue

Tax themes in acquisition financing

Speed read

This article considers developments in how some of the UK tax issues on lending into UK acquisition finance structures can be dealt with in practice. Where funding has been provided by non-treaty eligible debt funds, advisers should weigh the pros and cons of alternative methods for mitigating UK withholding tax, and ensure that the risk (including change of law risk) is appropriately allocated. Groups which have implemented the commonly seen ‘Finco LLC’ borrowing structure will be aware of the tensions in the UK source analysis on that structure, and may also wish to consider options for restructuring in light of the potential impact of the recent hybrid mismatch rules. 

If you or your firm subscribes to Taxjournal.com, please click the login box below:

If you do not subscribe but are a registered user, please enter your details in the following boxes:

Alternatively, you can register free of charge to read a limited amount of subscriber content per month.
Once you have registered, you will receive an email directing you back to read this article in full.
Please reach out to customer services at +44 (0) 330 161 1234 or 'customer.services@lexisnexis.co.uk' for further assistance.
EDITOR'S PICKstar
300 x 250 (MPU)
Top