Tag Archives: Section 385

International Tax Breakfast Series: Recharacterizing Debt as Equity

The next installment of our International Tax Breakfast Series looks at an area of tax law where the exact application of a proposed rule remains uncertain. Please join us for “Recharacterizing Debt as Equity: How the Proposed Section 385 Regulations Will Impact Traditional Cross-Border Income and Estate Tax Planning.” The breakfast event will be held … Continue Reading

Proposed Section 385 Regulations May Dramatically Impact Portfolio Debt Planning

On April 4, 2016, the IRS and Treasury issued proposed regulations under Section 385 (the “Proposed Regulations“).1 The Proposed Regulations, which were thought to have been a response to post-inversion earnings stripping transactions, have been heavily criticized as being overbroad and potentially impacting many ordinary business transactions, both in the domestic and international settings. Under … Continue Reading
LexBlog