DLA Piper is pleased to offer materials from our October 19 webinar which discussed the UK’s new anti-hybrid rules, going into effect January 1, 2017. Together with the UK’s diverted profits tax (DPT) and new royalty withholding tax rules, these rules represent a fundamental change to the taxation of multinationals operating in the UK.
- Outline of the new rules and predicted impact
- Practical examples of corporate structures that may be affected
- Best practices when considering restructuring in light of the rules
- Considerations for US multinationals operating in the UK
, Partner and Co-Head, US International Tax Practice