Goldman Sachs (NYSE: GS) details 4.50% fixed notes maturing in 2031
Rhea-AI Filing Summary
The Goldman Sachs Group, Inc. is offering fixed-rate senior notes due February 24, 2031, paying 4.50% per annum in U.S. dollars. Interest is paid semiannually on February 24 and August 24, starting August 24, 2026, using a 30/360 (ISDA) day-count convention.
The notes are part of Goldman Sachs’ Medium-Term Notes, Series N program, issued in $1,000 denominations, and will not be listed on any securities exchange. They are unsecured obligations of the parent company, issued in book-entry form through DTC, with Goldman Sachs & Co. LLC acting as underwriter, calculation agent and potential market maker.
Sales are restricted to professional or institutional investors in the EEA, United Kingdom, Hong Kong, Singapore, Japan and Switzerland under local regulations. Interest is taxable as ordinary income for U.S. holders, and the notes are generally subject to FATCA withholding rules. The underwriting affiliate’s role creates a disclosed conflict of interest under FINRA Rule 5121.
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Insights
Goldman Sachs issues 4.50% fixed senior notes due 2031 under its MTN program.
Goldman Sachs Group, Inc. is offering senior unsecured medium-term notes with a fixed 4.50% coupon and final maturity on February 24, 2031. Coupons are paid in U.S. dollars on a semiannual schedule using a standard 30/360 (ISDA) convention, which simplifies accrual calculations for institutional holders.
The notes are not listed on an exchange and are delivered in book-entry form through DTC, so liquidity will depend on dealer market-making rather than exchange trading. Goldman Sachs & Co. LLC is both underwriter and calculation agent, and may later trade the notes in secondary market transactions at prevailing or negotiated prices.
Regulatory selling restrictions in the EEA, United Kingdom, Hong Kong, Singapore, Japan and Switzerland focus distribution on professional or institutional investors. U.S. holders face ordinary income taxation on interest and potential FATCA withholding, so after-tax returns will depend on each investor’s tax profile rather than on structural features of the notes.

