The Senate and House bills include provisions that place limitations on interest deductions for corporations. McDermott Tax partners Alexander Lee and John Lutz discuss several implications for US and US-based multinational corporations, including companies that will be adversely affected by the changes, debt limitations and tax efficiencies of offshore debt, and the changes in lending and collateral packages under the repeal of Section 956.
Tax Takes Video: Changes to Interest Deduction
By McDermott Will & Emery and John T. Lutz on December 19, 2017
Posted In Tax Reform, Uncategorized