Webcast overview
In this period of ongoing economic volatility, many companies are finding themselves faced with a need to restructure their debt, often when the debt is trading at a significant discount to face value.
Please join professionals from the KPMG M&A Tax practice and Washington National Tax office as they discuss:
- Structuring a debt principal modification to qualify as a “pro rata prepayment” under Treas. Reg. sec. 1.1275-2
- Allowing partners in a partnership anticipating a cancellation of debt event to roll their interests into a corporate blocker
- Checking the box on an insolvent partnership in connection with a debt modification and making the election under Treas. Reg. sec. 1.1274-5 to treat the modification as occurring post-incorporation
This webcast would be of significant interest to tax professionals, CFOs, Head of Tax, corporate development and other business professionals working on tax planning and compliance.
After registering, you will receive details on how to log in to the webcast or dial in for audio only. Continuing professional education (CPE) credit is available to U.S. participants who meet the eligibility requirements.
We hope that you can join us for this event!