Conference programme
Conference homeSearch programme
Monday 20 January (0715 - 0800)
Monday 20 January (0800 - 0930)
Session details
But what does that mean for tax policy in 2025 and beyond? The roundtable will discuss recent and potential developments regarding the following topics:
- taxes on the wealthy (eg, billionaires’ tax, carried interest, capital gains, etc);
- Pillar Two implementation;
- Pillar One, digital service taxes and other bespoke excise taxes;
- the relationship between the branches of government;
- tax competition – is it alive or dead;
- the US is special – the Tax Cuts and Jobs Act expirations; and
- energy taxes (green and fossil sources).
Session/Workshop Chair(s)
Monday 20 January (0930 - 1030)
Session details
- does treaty (withholding tax) relief on dividends, interest, royalties and capital gains really work?;
- increased difficulty to meet the beneficial ownership test;
- substance thresholds: a comparative survey;
- new waves on general anti-avoidance rules (GAARs) and specific anti-avoidance rules (SAARs);
- tax risks deriving from potential recharacterisations; and
- withholding tax risk assessment and reporting obligations for listed companies.
Session/Workshop Chair(s)
Monday 20 January (1030 - 1100)
Monday 20 January (1100 - 1200)
Session/Workshop Chair(s)
Monday 20 January (1200 - 1315)
Session details
- intercompany reorganisations
- structuring and contractual allocation of risks in sale and purchase agreements (SPAs) and shareholder agreements
- financing/securitisation transactions
- specifics of private funds
- private equity aspects
- what’s next in the US, China, India…;
- states moves to keep attracting companies in the Pillar 2 environment
Session/Workshop Chair(s)
Monday 20 January (1315 - 1415)
Monday 20 January (1415 - 1530)
Session details
The panel will focus on the new frontiers of securitisation of assets other than receivables, such as real estate, renewable energies and movable properties. Do taxes play a role in the effort to render liquid traditionally illiquid assets? The panellists will discuss the new trends on the market in different jurisdictions.
Session/Workshop Chair(s)
Monday 20 January (1530 - 1600)
Monday 20 January (1600 - 1715)
Session details
This session will consider the following topics:
- the relevance of anti-tax haven/black list regulations;
- tax aspects of direct lending funds;
- anti hybrid rules – experience with administrative guidance; and
- beneficial ownership in equities transactions.
Session/Workshop Chair(s)
Monday 20 January (1715 - 1815)
Session details
- best jurisdictions (fact vs fiction): Ireland, Luxembourg, Netherlands, Spain, the United Arab Emirates (UAE) and the UK;
- general anti-avoidance rules (GAARs) and specific anti-avoidance rules (SAARs) in the holding company context;
- substance requirements: update on Unshell and domestic substance requirements in the UAE and US; and
- US developments: treaty structures, status of the Trump tax reform and its impact on holding companies and the effect of Pillar 2.
Session/Workshop Chair(s)
Monday 20 January (1845 - 2200)
Tuesday 21 January (0800 - 0830)
Tuesday 21 January (0830 - 1000)
Session details
- explore the tax implications of cross-border restructuring transactions, including acquisition or transfer of assets and shares and carve out of assets and/or minority shareholders/investors;
- international relocation of assets and companies; and
- bankruptcy tax planning.
Session/Workshop Chair(s)
Tuesday 21 January (1000 - 1115)
Session details
Whether motivated by activist pressures, management focus or balance sheet clean ups, spin offs and demergers are an actively employed management tool to dispose tax efficiently of a line of business
- the impact of cross-border distributions in division of multinational business;
- divisional carve-outs or hive downs;
- restructuring of debt and contingent liabilities among retained and disposed businesses;
- tax aspects of divisional carve-outs or hive downs;
- sales or initial public offering (IPO) combined with spin-offs or other dispositions, such as spin merge transactions;
- allocation of intangibles; and
- the impact of EU directives on both corporate law structures and tax consequences.
Session/Workshop Chair(s)
Tuesday 21 January (1115 - 1145)
Tuesday 21 January (1145 - 1300)
Session details
Brief overview of the latest trends and challenges in private equity fund structuring. Highlight shifts in investor expectations and regulatory pressures that are driving changes in fund structures.
- how are funds structured nowadays?
- onshoring or offshoring
- GP mobility
- holding or not - the rise of BYOT and direct holding structures?
- Q&A and conclusion
Session/Workshop Chair(s)
Tuesday 21 January (1300 - 1400)
Tuesday 21 January (1400 - 1500)
Session details
- current transfer pricing audit trends – practical experience in dispute resolution
- how new local, EU and Organisation for Economic Co-operation and Development (OECD) transfer pricing rules may affect the resolution of transfer pricing disputes;
- assertions of embedded royalties by tax authorities;
- increasing challenges to intercompany financing transactions in the US and Europe;
- managing transfer pricing issues in a remote-working world; and
- how Loper Bright and other court cases may affect transfer pricing rules.