Goldman Sachs (NYSE: GS) 4.80% Fixed‑Rate Notes Due 2033
Rhea-AI Filing Summary
The Goldman Sachs Group, Inc. is offering fixed rate senior notes due July 21, 2033 with an interest rate stated at 4.80% per annum. The notes are issued in denominations of $1,000, issued in book‑entry form under a master global note, with trade date July 17, 2026 and original issue date July 21, 2026. The notes will not be listed on an exchange and pricing terms (including original issue price and underwriting concessions) are set on the trade date. The issuer may terminate the offering prior to the trade date for credit‑spread movement. Purchases settling after the original issue date must pay accrued interest.
Positive
- None.
Negative
- None.
Insights
Goldman Sachs is issuing unsecured fixed‑rate medium‑term notes due 2033 at a 4.80% coupon.
The structure is a plain‑vanilla fixed rate senior note issued under the issuer's Medium‑Term Notes, Series N program in book‑entry form. Key commercial dates shown are trade date July 17, 2026 and original issue date July 21, 2026. The offering is non‑listed and subject to standard market‑making resales by affiliates.
Material conditionality includes the issuer’s unilateral termination right if there is a "significant adverse movement in the credit spread" before the trade date and purchaser payment of accrued interest when delivery occurs after the original issue date. Subsequent filings (the issuer’s Form 8‑K referenced) may affect investor decisions.
Offering follows standard disclosure and distribution mechanics, with FINRA Rule 5121 conflict noted for affiliate underwriting.
The pricing supplement states the underwriting affiliate conflict and compliance with FINRA Rule 5121. Distribution terms permit initial sale at original issue price and later market‑making resales by affiliates; concession mechanics and fee‑based account pricing variability are described in the supplemental plan of distribution.
Regulatory selling restrictions for the EEA, UK, Hong Kong, Singapore, Japan and Switzerland are included; transfer restrictions under certain Singapore SFA sections apply. Tax treatment references FATCA withholding and basic U.S. federal income tax treatment for U.S. holders.

