The Webinar centres on the cross-class cramdown in the UK and US and learning points for Singapore’s growth trajectory as a restructuring hub. Our experts will explore cross-class cram down under Part 26A of the Companies Act and the US Bankruptcy Code. Key cases, potential issues, similarities and differences in the UK and US approaches will be discussed. The panel will present the likely approach of Singapore courts to the cross-class cramdown tool and how it can be harnessed by Asian debtors.
This webinar will provide participants with an understanding of the cross-class cramdown with practical insights to real-life cases in the UK and the US. Attendees will learn about the insolvency, statutory and legal issues, considerations, and challenges presented in these cases, and how they may be overcome or remedied. This is especially important in the Asian region as there has not previously been a case involving cross-class cramdown in Singapore.
INSOL Member: £25 / SGD 45
Non-Member: £45 / SGD 80