Hosted By Practising Law Institute

Please join Mayer Brown’s Thomas A. Humphreys, Anna T. Pinedo and Brennan W. Young as they address the principal securities and U.S. federal income tax considerations arising in connection with structuring and negotiating:

  • Accelerated share repurchases and related issuer repurchase transactions;
  • Call spreads and warrants entered into in connection with convert offerings;
  • Forward purchase agreements; and
  • Other issuer derivatives.

For additional information please visit the event website.