The new EU interest limitation rules will significantly impact the tax position of asset holding companies and downstream investment structures in the EU for international investment funds. In this two-part panel session, experts from our Irish and Luxembourg Tax teams provide practical advice and guidance on how to address this significant new development.

In Part One, our experts provide guidance on the current status of these rules in Ireland and Luxembourg and explore how the rules will impact typical investment and fund structures in the EU managed by international asset managers. 

To listen, please click the link below.  This webcast is best viewed on Google Chrome and is available worldwide and On Demand. 

Listen here.

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