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Weil

Tax

BLOG

 
Reform of the Substantial Shareholdings Exemption
January 17, 2017
Contributor(s)
Oliver
Walker
Stuart
Pibworth
Posted on:
Capital Gains, Disposal, Exemption, QII, Reform, Straight to the Point, Substantial Shareholding Exemption, U.K. Tax

Although the principal considerations for the structuring of global business operations and investments usually focus on commercial and operational factors, such considerations are not looked at in a vacuum. Invariably, the financial modelling of any investment structure will also take into account the tax cost of profit extraction and exit. Read more.


Contributor(s)

Oliver Walker
Partner
+44 20 7903 1522
oliver.walker@weil.com
Bio on Weil.com
Stuart Pibworth
Counsel
+44 20 7903 1398
stuart.pibworth@weil.com
Bio on Weil.com

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Editors
Devon Bodoh
International Tax Head, 
Washington D.C.
Tax Department
Robert Frastai
Partner, 
New York
Tax Department
Stephanie Galvis
Associate, 
Miami
Tax Department
Graham Magill
Partner, 
Washington D.C.
Tax Department
Grant Solomon
Associate , 
Washington D.C.
Tax Department
Copyright © 2025 Weil, Gotshal & Manges LLP, All Rights Reserved. The contents of this website may contain attorney advertising under the laws of various states. Prior results do not guarantee a similar outcome. Weil, Gotshal & Manges LLP is headquartered in New York and has office locations in Boston, Brussels, Dallas, Frankfurt, Hong Kong, Houston, London, Los Angeles, Miami, Munich, New York, Paris, San Francisco, Silicon Valley and Washington, D.C.