Tax consequences of debt buy-backs | Practical Law

Tax consequences of debt buy-backs | Practical Law

Restricted liquidity conditions in the secondary market for leveraged loans have meant that good quality loans continue to trade at below par value. This discount has presented profitable opportunities for borrowers and their affiliates (such as a connected company or private equity sponsor), as well as third party investors. This article looks at the tax consequences of a debt buy-back from each of these perspectives, including transfer taxes and withholding tax.

Tax consequences of debt buy-backs

Practical Law UK Articles 3-384-0347 (Approx. 7 pages)

Tax consequences of debt buy-backs

by Alarna Carlsson-Sweeny, PLC
Published on 26 Nov 2008England, United Kingdom, Wales
Restricted liquidity conditions in the secondary market for leveraged loans have meant that good quality loans continue to trade at below par value. This discount has presented profitable opportunities for borrowers and their affiliates (such as a connected company or private equity sponsor), as well as third party investors. This article looks at the tax consequences of a debt buy-back from each of these perspectives, including transfer taxes and withholding tax.