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Webinar Series: Tax Reform Updates Tuesday, November 28, 2017 Moderator Paul W. Oosterhuis Of Counsel Washington, DC Pamela Lawrence Endreny Partner New York Moshe Spinowitz Partner Boston 1 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Agenda for Today s Webinar Individual Tax Reform Unincorporated Business Tax Reform Corporate Tax Reform International Tax Reform Combining the Two Bills The Process Going Forward 2 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Individual Income Taxation Current Law House Bill Senate Bill Top Rate 39.6% 39.6% (really 45.6%) 38.5% (2025 sunset) Standard Deduction Personal Exemption $12,700 $24,000 $24,000 (2025 sunset) $4,050 $0 $0 (2025 sunset) Child Credit $1,000; phase-out beginning at $110,000 of AGI $1,600; phase-out beginning at $230,000 of AGI $2,000; phase-out beginning at $500,000 of AGI 3 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Individual Income Taxation SALT Deduction Current Law House Bill Senate Bill Fully deductible (subject to AMT) $10,000 for property taxes $0 Mortgage Interest $1,000,000 indebtedness $500,000 home acquisition indebtedness; no deduction for home equity loan interest AMT Yes No No Gift/Estate Tax $14,000 annual gift tax exemption; $5.49 million estate/gift tax exemption Exemption threshold doubled until 2023; tax eliminated beginning in 2023 $1,000,000 home acquisition indebtedness; no deduction for home equity loan interest Double estate/gift tax exemption to ~$11 million 4 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Individual Tax Reductions Current Law <19,050 10% <77,400 15% <156,150 25% <237,950 28% <424,950 33% <480,050 35% >480,050 39.6% House Tax Brackets <90,000 12% <260,000 25% <1,000,000 35% >1,000,000 39.6% Senate Tax Brackets <19,050 10% <77,400 12% <140,000 22% <320,000 24% <400,000 32% <1,000,000 35% >1,000,000 38.5% 5 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Unincorporated Business Tax Reform Rates Qualified business income Current Law House Bill Senate Bill Business income earned through partnerships, S corporations and sole proprietorships ( passthroughs ) subject to tax in hands of owners at ordinary income rates 25% rate on qualified business income earned through passthroughs 100% from passive activity; 30% from active activity (subject to election based on deemed return on capital) 17.4% deduction for qualified business income earned through passthroughs (sunset 2025) Limited to 50% of W-2 wages paid by passthrough (exception for owner with income <$500K /$250K) 6 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Unincorporated Business Tax Reform Qualified business income (cont.) Carried interest Loss limitations Current Law House Bill Senate Bill Character of income and gains at passthrough level flows through to owners Excess passive activity losses, excess farm losses, suspended Excludes incomes from specified service activities (subject to exception for capital-intensive businesses) 3-year holding period for gain to qualify as longterm capital gain Excludes income from specified service activities Same Excess business losses suspended (exception for income up to $500K /$250K) 7 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Corporate Taxation Current Law House Bill Senate Bill Tax Rate 35% 20% (starting 2018) Interest Expense Generally fully deductible Limited to lesser of 30% of EBITDA or 110% of pro rata share (based on EBITDA) of worldwide interest expense. 20% (starting 2019) Limited to lesser of 30% of EBIT or 110% of pro rata share (based on debt/equity ratio) of worldwide interest expense. NOLs Fully usable (subject to AMT) Limited to 90% of taxable income; interest factor for carryforwards. Limited to 90% (reduced to 80% after 2022) of taxable income. 8 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Corporate Taxation Other Deductions and Credits Capital Expenses Current Law House Bill Senate Bill R&D credit; orphan drug credit; 199 deduction Depreciable/ amortizable R&D credit only Immediate expensing for a limited period R&D Expenses Deductible Amortized over a five-year period; 15-years for R&D conducted outside the U.S. Applies after 2023. AMT Yes No No R&D and reduced orphan drug credit Immediate expensing for a limited period Amortized over a five-year period; 15-years for R&D conducted outside the U.S. Applies after 2025. 9 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

International Taxation Taxation of Dividends form Foreign Subsidiaries Current Law House Bill Senate Bill 35% with a credit for foreign taxes paid 0% (no credits for allocable foreign taxes) Transition Tax N/A One-time tax on accumulated foreign earnings. 14% cash; 7% non-cash 0% (no credit for allocable foreign taxes) One-time tax on accumulated foreign earnings. 10% cash; 5% non-cash Interest Expense Generally fully deductible Limited to pro rata share (by EBITDA) of WW debt (see slide 8 above) Limited to pro rata share (by debt/equity ratio) of WW debt (see slide 8 above) 10 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

International Taxation Base Erosion Proposals House Bill 10% tax on foreign high return income, with a credit for 80% of foreign taxes paid (effectively a minimum tax on low-taxed foreign earnings). 20% excise tax on related-party foreign payments; ECI election available with a credit for 80% of foreign taxes paid. Senate Bill 10% (12.5% after 2025) tax on global intangible lowtaxed income ( GILTI ) with an 80% credit for foreign taxes paid. Reduced 12.5% (15.625% after 2025) tax on domestic corporation s foreign intangible income (including royalties and exported goods). BEAT Tax 10% (12.5% after 2025) tax on modified taxable income essentially taxable income + foreign related-party payments. 11 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Anti-Inversion Proposals House Bill Senate Bill Anti-Inversion Rules Unchanged Transition tax on accumulated earnings increased to 35% for domestic corporations that become expatriated entities within ten years of enactment of legislation. COGS added-back to modified taxable income for purposes of BEAT tax for expatriated entities. No QDI treatment for dividends paid by inverted companies. Increased section 4985 excise tax on stock-based compensation of insiders. 12 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Timeline for Final Congressional Action Possible Senate passage Thursday, November 30 and conference week of December 4th Alternatively the Senate could negotiate changes with House prior to Senate passage and pass final bill the week of December 11th House final passage the week of December 11th President signs into law the week of December 18th 13 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Major Compromise Issues 1. Expiration of Individual Provisions 2. Individual Tax Rates 3. Itemized Deductions Property taxes Mortgage interest Medical expense Student loan interest 4. Child/Family Credit 5. Pass-through Business Income Rate Loss limitation 6. Timing of 20% Corporate Rate 14 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Major Compromise Issues 7. Measure of Interest Disallowance EBIT v. EBITDA Debt/Equity v. Interest/EBITDA 8. Transition Tax Rate 9. Export/Royalty Incentive Tax Rate 10. Inbound Base Erosion Provision 15 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Paul W. Oosterhuis International and Corporate Tax Law Paul Oosterhuis has extensive experience in the area of international tax including mergers and acquisitions, post-acquisition integration, spin-offs, internal restructurings and joint ventures. He also represents multinational companies in nontransactional international tax planning and assists clients in resolving high-stakes, complex tax controversies. Mr. Oosterhuis has been ranked in the top tier of Chambers USA each year since the guide was first released in 2003. He also has been ranked in the top tier of Chambers Global each year since 2002. In addition, he repeatedly has been selected for inclusion in Tax Directors Handbook, The Legal 500 U.S., Who s Who Legal: Corporate Tax, IFLR1000 and The Best Lawyers in America. He also was named as a 2017 BTI Client Service All-Star. Washington, D.C. paul.oosterhuis@skadden.com Having worked for decades in complex and high-profile cross-border tax matters, he also frequently testifies on international tax policy matters before congressional committees, including the U.S. House Committee on Ways and Means at its 2013 hearing on Tax Reform: Tax Havens, Base Erosions and Profit Shifting. 16 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Pamela Lawrence Endreny Tax Pamela Lawrence Endreny represents clients in a range of federal income tax matters, including domestic and international mergers, acquisitions, joint ventures, spin-offs, financings and restructurings. She has particular experience in transactions involving publicly traded partnerships (PTPs), master limited partnerships (MLPs), real estate investment trusts (REITs), regulated investment companies (RICs), structured finance and derivatives. Ms. Endreny advises on the formation and operation of private equity and hedge funds and their investments, as well as transactions involving fund managers and sponsors. She has obtained private letter rulings from the IRS on spin-offs and other transactions and has represented clients in tax controversies with the Internal Revenue Service. New York pamela.endreny@skadden.com Ms. Endreny regularly advises on tax reporting, disclosure and withholding requirements, including foreign bank account reporting (FBAR) and the Foreign Account Tax Compliance Act (FATCA). She has advised financial institutions, asset managers and others on cross-border tax controversies and compliance issues, including representation of Swiss banks participating in the Department of Justice settlement program. Her experience includes developing policies and guidelines and leading training programs for financial institutions with respect to tax reporting, disclosure and compliance. Ms. Endreny is a co-author of the private equity treatise, "Private Equity Funds: Business Structure and Operations." 17 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Moshe Spinowitz Tax Moshe Spinowitz represents clients on a range of tax matters related to corporate transactions, including public and private company mergers and acquisitions, with a particular emphasis on international tax matters, crossborder acquisitions, and post-acquisition integration and restructuring transactions. He also advises clients on a range of tax controversy matters during all phases of IRS audits and appeals. Boston moshe.spinowitz@skadden.com Mr. Spinowitz s experience includes advising a multinational pharmaceutical company in connection with the integration and restructuring of its operations following a large cross-border acquisition, advising pharmaceutical and technology companies in connection with the structuring of their intellectual property holdings, and successfully representing several multinational corporations before IRS appeals in connection with intercompany financing transactions. Prior to joining Skadden, Mr. Spinowitz served as a law clerk to Judge Michael Boudin on the United States Court of Appeals for the First Circuit, and Justice Antonin Scalia on the United States Supreme Court. 18 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates

Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates 19 Skadden, Arps, Slate, Meagher & Flom LLP and Affiliates