Presentation

Implementing alternative investments in the post-BEPS era: Considering the impact of new tax rules (ATAD 1 & 2, MLI)

Presentation

Proposed by
  • Typical investment structure

  • Interest limitation rules

  • Hybrid mismatch rules

  • Reverse hybrid mismatch rules

  • General anti-abuse rule

  • Considering the tax treatment in the investment jurisdiction

  • Mapping the main impact areas

About The Author

Practical Info

Date
21/09/2022 11:10 (Europe/Luxembourg)
Duration
1 hour 30 minutes
Location