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SALT Implications of Proposed Section 385 Debt/Equity Regulations

By Peter L. Faber on May 18, 2016
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On April 4, 2016, without warning, the US Department of the Treasury proposed a new set of comprehensive regulations under section 385. There had been no advance indication that regulations were even under consideration. Although the Treasury indicated that the proposed regulations were issued in the context of addressing corporate inversions, their application went well beyond the inversion space and they apply to inter-corporate debt regardless of whether it occurs in an international context. The following is a discussion of the state and local tax consequences of the proposed regulations; for a detailed discussion of the proposed regulations themselves, see this previous article.

Read the full article.

Photo of Peter L. Faber Peter L. Faber

Peter L. Faber focuses his practice on corporate and business tax planning and controversy work involving federal, state and local taxes. Peter’s state and local tax practice has included tax planning for corporate acquisitions, divestitures and restructurings, combined report planning, electronic commerce and…

Peter L. Faber focuses his practice on corporate and business tax planning and controversy work involving federal, state and local taxes. Peter’s state and local tax practice has included tax planning for corporate acquisitions, divestitures and restructurings, combined report planning, electronic commerce and nexus issues, cloud computing issues, residence matters, alternative apportionment issues and a variety of other matters. Read Peter Faber’s full bio.

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  • Posted in:
    Tax
  • Blog:
    Inside SALT
  • Organization:
    McDermott Will & Emery
  • Article: View Original Source

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