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CONTENTSITHE FAVOURABLE LUXEMBOURG ENVIRONMENT FORINVESTMENT TRANSACTIONS 4II THE FIVE KEY VEHICLES FOR INVESTMENT TRANSACTIONS 4A. UNREGULATED SPECIAL PURPOSE VEHICLES IN CORPORATEFORM (SPVs), INCLUDING HOLDING COMPANIES 41. Legal Forms of SPV 42. Regulatory Aspects 43. Tax Aspects 44. Participation Exemption 55. Applicability of AIFM 5B. SECURITISATION VEHICLES 61. The 2004 Securitisation Law 62. Definition of a Securitisation under 2004 Securitisation Law 63. Securitisation Companies 64. Securitisation Funds 65. Creation of Multiple Compartments 66. Issuance of Debt and Equity Securities 67. Regulated or Unregulated Securitisation Vehicles 68. Bankruptcy Remoteness 69. Tax Treatment 610. Applicability of AIFM 7C. THE SICAR 71. Purpose of the SICAR Regime and Eligible Investments 72. Necessity of Risk Capital 73. Investments in Real Estate 74. Eligible Investors 75. Organisation of SICARs 76. Multiple Compartments 87. Capitalisation 88. Regulation and Reporting 89. Taxation 810. Applicability of AIFM 8D. SPECIALISED INVESTMENT FUND 81. Eligible Investors 82. Organisational Flexibility 93. Capital and Payment of Dividends 94. Investment and Leverage Restrictions 92

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