Corporate Break-Ups Prof. Ian Giddy New York University Mergers, Acquisitions & Divestitures Mergers & Acquisitions Divestitures Valuation Concept: Is a division or firm worth more within the company, or outside it? Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 2 Breaking Up Why—The business may be worth more outside the company than within How—Sell to another company, or to the public, or give it to existing shareholders Tax Aspects—As a rule if you get paid in cash you realize a taxable gain; not otherwise Effect on Shareholders—The bigger the part sold off, the greater the percentage gain Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 3 Case Study: Pinault-Printemps-Redoute Copyright ©2002 Ian H. Giddy Why? How? Tax Aspects? Effect on Shareholders? Corporate Financial Restructuring 4 Why Break Up? Pro-active Defensive Involuntary Examples of each? Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 5 Why Break Up? Pro-active (GM tracking/selling DirectTV) Defensive (ABB selling ABB Cap Lease) Involuntary (ATT breakup, Enron) Examples of each? Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 6 Why Break Up? Post-acquisition disposals Shift of core business or strategy Underperforming business or mistake Lack of fit, refocus on core business Avoid competing with customers Antitrust compliance Need for funds Market or litigation risk Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 7 Tax Consequences The spin-off and related techniques have the advantage that they can be structured so as to be tax free (USA) Tax Code Section 355 requirements: Both the parent company and the spun-off entity must be in business for at least 5 years The subsidiary must be at least 80% owned by the parent Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 8 Breaking Up Breaking up Tax-Free Spin-Off Copyright ©2002 Ian H. Giddy Split-Up Taxable Tracking Stock Divestiture Equity Carve-Out Split-Off IPO Bust-Up Corporate Financial Restructuring 9 Tax-Free Breakups Spin-Off Tax-Free Split-Up Tracking Stock Spin-offs—pro-rata distribution by a company of all its shares in a subsidiary to all its own shareholders Split-offs—some parent-company shareholders receive the subsidiary's shares in return for their shares in the parent Split-ups—all of the parent company's subsidiaries are spun off and the parent company ceases to exist Tracking Stock—special stock issued as dividend: pays a dividend based on the performance of a wholly-owned division Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 10 Tracking Stock Tracking stock, sometimes known as letter stock or alphabet stock, is a class of stock designed to reflect the value and track the performance of a part of the issuer's assets, usually a separate business or group of businesses. Claimed advantages: preservation of the efficiencies of a single corporation ability of the market to more accurately value the respective businesses of the issuer What does it really add? Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 11 Taxable Breakups Taxable Divestiture Equity Carve-Out Split-Off IPO Bust-Up Divestitures—the sale of a division of the company to a third party Equity carve-outs—some of a subsidiary‘s shares are offered for sale to the general public Split-off IPOs—a private company offers a part of the company to the public Bust-ups—voluntary liquidation of all of the company’s business Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 12 Divestitures Can Add Value Shareholders of the selling firm seem to gain, depending on the fraction sold: % of firm sold 0-10% 10-50% 50%+ Copyright ©2002 Ian H. Giddy Announcement effect 0 +2.5% +8% Corporate Financial Restructuring 13 Divestitures Can Add Value Value of combined company Value of seller without sub + value of sub (Seller may gain from more managerial focus, lower WACC, less conglomerate discount) Value of sub – standalone value Value of sub – acquisition value to another company Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 14 Break-up Computation PPR with Finaref PPR without Finaref Finaref Standalone Finaref with CA EBITDA € 800 € 500 € 300 € 330 Tax rate 40% 40% 40% 40% Beta 1.4 1 1.6 1.6 Growth rate 3.50% 2.50% 4% 4.50% Equity € 8,000 € 6,000 € 3,000 € 3,500 Debt € 7,000 € 5,000 €0 €0 Risk Free 3% 3% 3% 3% Mkt Risk Premium 7% 7% 7% 7% Debt spread 3% 2% 4% 2% Re 12.80% 10.00% 14.20% 14.20% Rd 6.00% 5.00% 7.00% 5.00% WACC 8.51% 6.82% 14.20% 14.20% Enterprise PV € 16,538 € 11,868 € 3,059 € 3,555 Equity PV € 9,538 € 6,868 € 3,059 € 3,555 Additional Gains/losses € 1,187 €0 -€ 1,400 Choice € 9,538 € 11,114 € 10,155 Source: breakup.xls Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 15 Framework for Assessing Restructuring Opportunities Current market overpricing or underpricng Current Market Value 1 Company’s DCF value 2 5 Restructuring Framework Operating improvements Total restructured value Financial structure improvements (Eg Increase D/E) 4 3 Potential value with internal improvements Copyright ©2002 Ian H. Giddy Maximum restructuring opportunity Disposal/ Acquisition opportunities Potential value with internal + external improvements Corporate Financial Restructuring 16 Using The Restructuring Framework ($ Millions of Value) $1,000 $ 25 Current perceptions Gap: “Premium” $ 975 $ 300 Company value as is Current Market Price 1 2 $ 635 Maximum restructuring opportunity 5 Restructuring Framework Strategic and operating opportunities Potential value with internal improvements Financial engineering opportunities 4 3 Disposal/ Acquisition opportunities $ 1,275 Optimal restructured value $ 1,635 $ 10 Eg Increase D/E Potential value with internal and external improvements $ 1,625 $ 350 Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 17 Marriott The Choice the decision of whether to split Marriott Corp. into two companies--Marriott International and Host Marriott The Situation decline in real estate values has a significant percentage of assets in hotels it had planned to sell difficult for Marriott to pursue growth strategies market price of the company had declined significantly Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 18 Marriott: Assignment Will this type of reorganization meaningfully improve the company? What are the different way of effecting break-ups? In the Marriott case, are there reasonable alternative approaches? Draw up a spreadsheet comparing the before-and-after capital structure of Marriott and its proposed component parts How are bondholders affected? How can they protect their interests? Make a recommendation, and justify it. Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 19 Marriott: Project Chariot Marriott Corp. Marriott Intl. Host Marriott Corp. Intangibles Hotels Franchises Management Services Airport and Road Plazas Land Distribution Services Timeshares Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 20 Marriott: Breaking Up Breaking up Tax-Free Spin-Off Copyright ©2002 Ian H. Giddy Split-Up Taxable Tracking Stock Divestiture Equity Carve-Out Split-Off IPO Bust-Up Corporate Financial Restructuring 21 Marriott: Financial Restructuring Marriott Corp. Marriott Intl Host Marriott Long-term debt 2732 378 2362 LYONs 228 205.2 22.8 Convertible preferred 200 200 Shareholders' equity 585 524 61 Total long-term capital 3745 1107.2 2645.8 Long-term debt/Total Copyright ©2002 Ian H. Giddy 73% 34% 89% Corporate Financial Restructuring 22 Corporate Restructuring Divestiture—a reverse acquisition—is evidence that "bigger is not necessarily better" Going private—the reverse of an IPO (initial public offering)—contradicts the view that publicly held corporations are the most efficient vehicles to organize investment. Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 23 Contact Info Ian H. Giddy NYU Stern School of Business Tel 212-998-0426; Fax 212-995-4233 Ian.giddy@nyu.edu http://giddy.org Copyright ©2002 Ian H. Giddy Corporate Financial Restructuring 27