Webcast overview
Given the impact of the prolonged high interest rate environment on distressed restructurings, please join KPMG Mergers and Acquisitions Tax and Washington National Tax professionals as they explore some of the complex implications of cancellation of indebtedness income, attribute reduction, and Section 382.
Gain valuable insights through the lens of a complex consolidated group with historical excess loss accounts in stock, as well as an up-C structure with significant partnership level debt. These unique structures present both challenges and opportunities for innovative structuring.