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- F-4 Registration of securities (foreign)
- 3.26 Articles of Association of CNH International Sa
- 4.1 Indenture, Dated As of June 28, 2010
- 4.3 Registration Rights Agreement
- 5.1 Opinion of Sullivan & Cromwell LLP
- 5.2 Opinion of Clayton Utz
- 5.3 Opinion of Altius Law Firm
- 5.4 Opinion of Bar & Karrer Ag
- 5.5 Opinion of Charles De Alwis Solicitors
- 5.5 Opinion of Charles De Alwis Solicitors
- 5.6 Opinion of Nautadutilh N.V.
- 5.7 Opinion of Osler, Hoskin & Harcourt LLP
- 5.8 Opinion of Shearman & Sterling LLP
- 8.1 Opinion Re Tax Matters of Sullivan & Cromwell LLP
- 12.1 Statement of Computation of Ratio of Earnings to Fixed Charges
- 23.1 Consent of Deloitte & Touche LLP
- 25.1 Form T-1 Statement of Eligibility
- 99.1 Letter of Transmittal
- 99.2 Notice of Guaranteed Delivery
- 99.3 Form of Letter to Brokers, Dealers, Commercial Banks
- 99.4 Form of Letter to Clients
- 99.5 Form of Instruction to Registered Holder from Beneficial Owner
- 7 Jul 11 Registration of securities (foreign) (amended)
- 24 Jun 11 Registration of securities (foreign) (amended)
- 23 May 11 Registration of securities (foreign) (amended)
- 6 Apr 11 Registration of securities (foreign)
- 19 Mar 10 Registration of securities (foreign)
- 5 May 06 Registration of securities (foreign)
- 17 May 05 Registration of securities (foreign) (amended)
Exhibit 8.1
[Letterhead of Sullivan & Cromwell LLP]
April 6, 2011
Case New Holland Inc.,
CNH Global N.V.,
Tower B, 10th Floor,
World Trade Center, Amsterdam Airport,
Schiphol Boulevard 217,
1118 BH Amsterdam,
The Netherlands.
Ladies and Gentlemen:
We have acted as your United States federal income tax counsel in connection with the registration under the Securities Act of 1933 on Form F-4 (the “Registration Statement”) filed with the Securities and Exchange Commission on the date hereof. We hereby confirm to you that our opinion as to United States federal income tax matters is as set forth under the heading “Certain U.S. Federal Income Tax Considerations” in the prospectus (the “Prospectus”) included in the Registration Statement, subject to the limitations set forth therein.
We hereby consent to the filing of this letter as an exhibit to the Registration Statement and to the reference to us under the heading “Certain U.S. Federal Income Tax Considerations” in the Prospectus. In giving such consent, we do not thereby admit that we are in the category of persons whose consent is required under Section 7 of the Securities Act of 1933.
Very truly yours, |
/s/ Sullivan & Cromwell LLP |