Tax-Motivated Film Financing at Rexford Studios Case Solution
The lending calls for a sale-leaseback construction where international tax rules give an increaseto a substantial economic pie that's divided up among the studio, the fund investors, and the arrangers. To run the discussion, the company must value the cash flow flows to each of the parties and understand the nature of the tax arbitrage in the context of his total funding needs.
For that reason, the important problems included in film funding and the nature of sale-leaseback transactions driven by tax considerations are investigated, as is the rivalry between states for movie creation. Eventually, the underlying determinants of chances are valued. To get executable spreadsheets (courseware), please contact our customer service section at custserv@hbsp.harvard.edu.
This is just an excerpt. This case is about FINANCE & ACCOUNTING
PUBLICATION DATE: November 14, 2002