A combination with a foreign target can, under certain circumstances, give rise to an opportunity for a US company to effectively adopt the target’s country of domicile as its own. Effecting such a change in domicile can be desirable for a variety of reasons, but such transactions are attended by numerous complexities and pitfalls. It is imperative that companies considering such a transaction carefully assess relevant structuring, securities law, tax and other issues.
Please join Mayer Brown partners Reb Wheeler and Jason Bazar for a 30-minute teleconference on key issues associated with transactions involving a change in a US company’s corporate domicile. Reb and Jason will be joined by Cian McCourt, a partner at Ireland-based A&L Goodbody, who will discuss recent corporate migrations to Ireland and related legal considerations. Topics will include:
- Overview of recent corporate migrations
- Commonly used M&A structures
- Tax considerations, including anti-inversion rules
- Securities law considerations
- Considerations associated with migrations to Ireland
Note: The timing of the presentation may not be convenient. The program will be recorded. Please register even if you cannot attend to make sure you receive the link to the recording.
Instructions for accessing the program will be sent prior to the event.
For additional information, please contact Bob Kelley at +1 312 701 8123 or email@example.com.