Goldman Sachs offers S&P 500‑linked notes, May 2026
GS Finance Corp. is offering S&P 500®-linked, principal-at-risk notes guaranteed by The Goldman Sachs Group, Inc. The notes have an aggregate face amount of $1,500,000, a stated maturity of August 24, 2027, and pay no interest.
Rhea-AI Filing Summary
GS Finance Corp. is offering S&P 500®-linked, principal-at-risk notes guaranteed by The Goldman Sachs Group, Inc. The notes have an aggregate face amount of $1,500,000, a stated maturity of August 24, 2027, and pay no interest. The cash settlement at maturity for each $1,000 face amount depends on the S&P 500 closing level on the determination date relative to the initial level of 7,353.61. Investors share upside at an 110% participation rate capped at a $1,112.50 maximum settlement; losses occur if the final level falls below a 90% buffer, with full downside mechanics described in the supplement. The notes were priced on May 19, 2026 with an original issue price equal to 100% of face and an underwriting discount of 2.35%.
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Insights
These are principal‑at‑risk, capped upside structured notes linked to the S&P 500.
The structure pays no periodic interest and delivers a cash settlement at maturity that depends on the S&P 500 return from the trade date to the determination date. The terms include an 110% upside and downside participation rate, a 10% buffer (buffer level at 90% of the initial level) and a maximum payout of $1,112.50 per $1,000 face amount.
Key dependencies are the final underlier closing level on the determination date and the issuer/guarantor creditworthiness; secondary market liquidity is not assured and GS&Co. may cease market making without notice.
The U.S. federal tax treatment is uncertain; counsel treats notes as pre‑paid derivatives.
Sidley Austin LLP advises that the notes may be characterized as a pre‑paid derivative contract, producing capital gain or loss on sale or maturity, but the IRS could assert a different treatment. The pricing supplement states the notes are not subject to section 871(m) dividend equivalent withholding as of the issue date.
Foreign holders should note potential FATCA applicability and consult tax advisors for specific treatment.
Key Figures
Key Terms
Buffer level financial
Upside participation rate financial
Pre‑paid derivative contract tax
871(m) dividend equivalent withholding tax
FATCA withholding regulatory
Offering Details
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