In 2019, Luxembourg introduced limitations to the deductibility of interest expenses that also apply to securitisation companies. The rules are complex and raise many questions. Thanks to all the energy and tremendous ongoing efforts of ATAD dedicated task force, the LuxCMA 

has recently published a technical paper (available for LuxCMA members only) on how to apply these rules in a securitisation context. 

During this webcast moderated by Anja Taferner, Executive Director at EY Luxembourg and Holger von Keutz, Partner, Securitisation leader PwC, members of the LuxCMA - & task force went through a number of issues and positions discussed in the paper.

The speakers were:

  • Gerard Neiens, Partner at Hogan Lovells (Luxembourg),
  • Mathilde Ostertag, Tax Local Partner at GSK Stockmann,
  • Geoffrey Scardoni, Partner at Clifford Chance Luxembourg,
  • Marketa Stranska, Associate Director, Private Debt and Capital Markets Sanne.

Watch the webinar recording here: https://www.youtube.com/watch?v=nTaUCMlfUG0 

If you want to become a LuxCMA member, click here: 

https://www.luxcma.com/members/become-a-member