IRS Issues Proposed Regulations That Would Recast Certain Debt Instruments as Equity

Published date29 April 2016
Law FirmOrrick, Herrington & Sutcliffe LLP
AuthorPeter Connors,Barbara Spudis de Marigny,Michael Robert Rodgers
Subject MatterAsset Stripping,Earnings Management,Foreign Entities,Internal Revenue Code (IRC),IRS,Multinationals,Non-Marketable Debt Instruments,Proposed Regulation,Tax Planning,Taxable Income

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