AIMA APAC invites you to join us on our manager-only webinar on 13 August.
This session will discuss the tax, legal and operational implications around structuring of carried interest. The session would focus on the following:
Taxation of carried interest under Singapore tax law and practice
General overview of tax treatment of carried interest in other countries such as Japan, Hong Kong, UK and the US
Current tax avoidance provisions in Singapore including IRAS's view on its applicability to the taxation of carried interest
How to structure carry from Singapore in a tax efficient manner
Common issues faced in structuring carried interest provisions in fund documents for both closed and open-ended funds
Overview of market practice of how carried interest provisions are structured in jurisdictions such as the US, UK and Asia
Considerations for structuring carried interest at both the fund and sponsor level
- Calculations and comparisons between different carry interest models
- Implications of different carried interest models on fund operations
- Fund accounting systems and functionalities for carried interest and fund performance calculations
Teo Wee Hwee, Head of Asset Management Tax, KPMG in Singapore
Joel Seow, Partner, Morgan, Lewis & Bockius LLP
Larry Goh, AVP, Fund Administration, SS&C GlobeOp
Please note this session is open to fund managers only and the session will NOT be recorded for replay. Contact Gennifer for the registration link.
This event has been rescheduled from 6 February 2020 in Singapore. If you had previously registered for that session, you will need to re-register for this.