London, January 25, 2018 

On December 22, 2017, the U.S. enacted the Tax Cuts and Jobs Act (the “U.S. Act”) which included, among other things, a reduction to corporate income tax rates, the adoption of a territorial tax system and a mandatory tax on deemed repatriated earnings of foreign subsidiaries. 

As a result of the U.S. Act and tax legislation changes enacted in the UK and certain other countries, the Company estimates that its consolidated net income for the quarter ending December 31, 2017 will include a non-cash tax charge up to $125 million under US GAAP (and a non-cash benefit of $20 million under IFRS). These amounts are based on currently available information and are primarily related to the mandatory repatriation tax, the write-down of its deferred tax assets/liabilities due to the reduction of corporate tax rates, and the impact of establishing a valuation allowance against certain deferred tax assets. 

The Company will continue to assess the U.S. Act and other tax law changes to determine the full effect on its financial statements. 

Furthermore, as a consequence of the accelerated deterioration of conditions in Venezuela, including the persisting restrictive exchange control regulations, which prevent any payments out of the country, the Company assessed its inability to control its Venezuelan operations and decided to deconsolidate such operations effective December 31, 2017. As a result, the Company will record a non-cash pre- and after-tax charge of approximately $90 million under US GAAP ($50 million under IFRS). 

The Company will announce financial results for the quarter and year ended December 31, 2017 on January 30, 2018.