Goldman Sachs (GS) sells autocallable S&P 500® notes with 150% upside to 2031
Rhea-AI Filing Summary
GS Finance Corp. is offering Autocallable S&P 500® Index-Linked Notes due 2031, guaranteed by The Goldman Sachs Group, Inc. The notes pay no interest, have an upside participation rate of 150% and include an automatic-call feature that, if triggered on the call observation date, pays $1,122.50 per $1,000 on the call payment date. If not called, the cash payment at maturity is based on the S&P 500® performance: a positive return is multiplied by the 150% participation rate; a flat or negative return reduces principal proportionally, and investors could lose their entire investment.
Key dates shown: trade date June 16, 2026, original issue date June 22, 2026, call observation date June 21, 2027, call payment date June 24, 2027, determination date June 16, 2031, and stated maturity date June 20, 2031. The notes are book-entry, CUSIP 40054X4P0, and pricing, fees, and some terms will be set on the trade date.
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Insights
Autocallable structure trades capped upside for enhanced short-term payoff.
The notes combine a 150% upside participation with an early automatic-call at a fixed call payment of $1,122.50 per $1,000 if the S&P 500® closing level on the call observation date meets or exceeds the initial level. This creates a capped, front-loaded cash outcome if the index returns are positive by the call observation date.
The principal downside is uncapped below the initial level: at maturity investors absorb the full negative index return on a dollar-for-dollar basis (subject to the stated formula). Liquidity, model valuation differences and issuer/guarantor credit risk are primary dependencies; secondary market pricing will reflect these factors.
U.S. federal tax treatment is uncertain; counsel opinion favors prepaid-derivative characterization.
Counsel opines that the notes should be treated as a pre-paid derivative contract for U.S. federal income tax purposes, which would generally result in capital gain or loss on sale, redemption or maturity. However, this characterization is not settled and the IRS could assert a different treatment.
The notes are subject to FATCA withholding and investors should consult tax advisors about 871(m) and cross-border issues. Timing and character of income may vary if tax authorities disagree with the stated opinion.
Key Figures
Key Terms
Autocallable financial
Upside participation rate financial
Determination date regulatory
Pre-paid derivative contract tax
FATCA withholding regulatory
Offering Details
AI-generated analysis. How Rhea-AI works. Not financial advice.


