Tax Implications of Cross-Border Restructurings from a US Perspective: Hidden Tax Traps in Inversions, COD and Section 956

Tax Implications of Cross-Border Restructurings from a US Perspective: Hidden Tax Traps in Inversions, COD and Section 956

Show notes

In this episode of Chambers Expert Focus Weil Tax Insight series, Weil, Gotshal & Manges tax partners Devon Bodoh and Greg Featherman explore three pressing US tax issues facing multinationals and cross-border investors in corporate restructurings: anti-inversion risks, cancellation of indebtedness income (COD), and Section 956 exposure.

Hosts


Guests

Devon Bodoh

Devon Bodoh

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Greg Featherman

Greg Featherman

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