This training is offered in the form of face-to-face training.
Catalog

Implementation of ATAD 2 into Luxembourg Tax Law - Analysing the Impact on Alternative Investments and Multinationals

Taxation

Description

Description

The training will provide you with a clear understanding of the complex anti-hybrid mismatch rules that are effective as from 2020 and the impact of the new rules on Alternative Investments structured via Luxembourg.

Objectives

After the training the participant shall be able to:

  • Have a clear understanding of the complex anti-hybrid mismatch rules that are effective as from 2020

  • Understand the impact of the new rules on Alternative Investments structured via Luxembourg

  • Understand how Luxembourg investment platforms of multinational groups might be impacted by these tax measures

  • Have a view on structure alignments that might be implemented to manage the tax position in Luxembourg.

Programme
  • Overview of the Luxembourg anti-hybrid mismatch rules 
  • Types of hybrid mismatch arrangements targeted by the new rules
    • Hybrid mismatches (hybrid financing instruments, hybrid entities, hybrid permanent establishments, etc.)
    • Reverse hybrid mismatches
    • Tax residency mismatches
  • Mechanism of the anti-hybrid mismatch rules
  • Limits of the scope of the new rules
  • Case studies
Target audience

Professionals of the financial sector and in-house tax managers that would like to understand the potential impact of the anti-hybrid mismatch rules on Alternative Investments (Real estate, private equity, etc.) and multinational groups that manage their investments via a Luxembourg investment platform.

Lecturer

The lecturer is a Principal in the International and Corporate Tax department with a large tax advisory firm in Luxembourg.

A tax professional since 2011, the lecturer worked in the accounting sector for 2 years in France before focusing on international tax in Luxembourg. The lecturer has experience in relation to the structuring of Alternative Investments via Luxembourg (private equity, real estate, hedge funds, debt funds, etc.) as well as mergers & acquisitions (multinational groups). The lecturer advises clients on all direct tax aspects regarding deal structuring, maintenance, reorganisations and exit planning. The lecturer is a member of the Core Transfer Pricing Team of an independent advisory firm.


Conditions

Course Material

Please note that for environmental reasons no paper version of the training material will be provided for your training. The course material can be downloaded free of charge via your portal before the start of the course (download the Client Portal User’s Guide here). You will be able to view it on the screen of your mobile device or print it if necessary. If your registration has been made by a training manager of your company please contact him/her so that he/she can give you access to it or send it to you.

Certificate

At the end of the training, the participants will receive a certificate of attendance delivered by the House of Training.

Location
Chambre de Commerce Luxembourg
7, rue Alcide de Gasperi
L-1615 Luxembourg
Luxembourg
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Sessions and schedules

Download the schedule (PDF)

  • Wed 25.09.2024

    09:00 to 12:00

    3H

    The implementation of ATAD 2 into Luxembourg tax law – Analysing the impact on Alternative Investments and Multinationals

    Chambre de Commerce Luxembourg