alerts & publications
Structuring Carried Interest After US Tax Reform10月 15, 2018
O’Melveny partner Alexander Anderson’s article “Structuring Carried Interest After US Tax Reform” appears in an October edition of Bloomberg’s Tax Management Memorandum.
The article discusses a change under US tax reform that requires fund managers to hold investments for three years in order to recognize long-term capital gain on gains attributable to their carried interest, the potential conflict between investors and US investment fund managers resulting from this change, and structuring opportunities to resolve this conflict.
Click here to read the article.
Thank you for your interest. Before you communicate with one of our attorneys, please note: Any comments our attorneys share with you are general information and not legal advice. No attorney-client relationship will exist between you or your business and O’Melveny or any of its attorneys unless conflicts have been cleared, our management has given its approval, and an engagement letter has been signed. Meanwhile, you agree: we have no duty to advise you or provide you with legal assistance; you will not divulge any confidences or send any confidential or sensitive information to our attorneys (we are not in a position to keep it confidential and might be required to convey it to our clients); and, you may not use this contact to attempt to disqualify O’Melveny from representing other clients adverse to you or your business. By clicking "accept" you acknowledge receipt and agree to all of the terms of this paragraph and our Disclaimer.