424B2 1 dp27013_424b2-j224.htm FORM 424B2
 
Pricing Supplement No. J224
To the Underlying Supplement dated June 24, 2010,
Product Supplement No. JPM-III dated July 15, 2009,
Prospectus Supplement dated March 25, 2009 and
Prospectus dated March 25, 2009
Filed Pursuant to Rule 424(b)(2)
Registration Statement No. 333-158199-10
October 28, 2011
Credit Suisse AG
Structured
Investments
 
Credit Suisse
$8,128,000
Buffered Return Enhanced Notes due November 15, 2012
Linked to a Basket Consisting of the Hang Seng China Enterprises Index, the KOSPI 200 Index, the MSCI Taiwan Index, the Hang Seng® Index and the MSCI Singapore Index and related Asian Currencies
 
General
·
The notes are designed for investors who seek a return at maturity of two times the appreciation, if any, of a weighted basket of Asian indices multiplied by the performance of their respective currencies relative to the U.S. dollar up to a Maximum Return on the notes of 15.60%. Investors should be willing to forgo interest and dividend payments and, if the Basket declines by more than 10%, be willing to lose some or all of their investment. Any payment on the notes is subject to our ability to pay our obligations as they become due.
·
Senior unsecured obligations of Credit Suisse AG, acting through its Nassau Branch, maturing November 15, 2012.
·
Minimum purchase of $10,000. Minimum denominations of $1,000 and integral multiples of $1,000 in excess thereof.
·
The notes priced on October 28, 2011 (the “Pricing Date”) and are expected to settle on November 2, 2011. Delivery of the notes in book-entry form only will be made through The Depository Trust Company.
 
Key Terms
Issuer:
Credit Suisse AG (“Credit Suisse”), acting through its Nassau Branch
Basket:
A weighted basket consisting of five Asian indices (each a “Basket Component,” and together, the “Basket Components”) and the spot exchange rates of four Asian currencies relative to the U.S. dollar (each a “Basket Currency” and, together, the “Basket Currencies”). We refer to the Basket Components and the Basket Currencies collectively as the “Basket”.
 
Basket Component
Ticker
Initial Basket Component Level
Basket Currency
Initial Spot Rate
Weighting
 
Hang Seng China Enterprises Index
HSCEI
10625.20
Hong Kong dollar (HKDUSD)
0.12880456
21.00%
 
KOSPI 200 Index
KOSPI2
252.47
Korean won (KRWUSD)
0.00090494
25.00%
 
MSCI Taiwan Index
TAMSCI
269.99
Taiwan dollar (TWDUSD)
0.03349186
20.00%
 
Hang Seng Index
HSI
20019.20
Hong Kong dollar (HKDUSD)
0.12880456
25.00%
 
MSCI Singapore Index
SIMSCI
333.04
Singapore dollar (SGDUSD)
0.80580177
9.00%
Currency of the Issue:
United States dollars
Upside Leverage Factor:
2
Payment at Maturity:
If the Basket Return is greater than 1.00, your payment per $1,000 principal amount of notes will be equal to the lesser of (i) $1,000 x [1 + the Maximum Return] and (ii) $1,000 x [1 + (Basket Return – 1) × Upside Leverage Factor].
 
If the Basket Return is greater than or equal to 0.90 and less than or equal to 1.00, you will receive a cash payment of $1,000 per $1,000 principal amount of notes.
 
If the Basket Return is less than 0.90, you will lose an amount equal to 1.1111% of the principal amount of your notes for every 1% by which the Basket Return is less than 0.90, and you will receive a cash payment per $1,000 principal amount of notes, calculated as follows:
 
$1,000 x [1 + (Basket Return – 1 + 10%) × 1.1111]
 
You will lose some or all of your investment on the notes if the Basket Return is less than 0.90. Any payment on the notes is subject to our ability to pay our obligations as they become due.
Maximum Return:
15.60%
Basket Component Return:
For each Basket Component, the performance of such Basket Component from its Initial Basket Component Level to its Final Basket Component Level, calculated as follows:
 
Final Basket Component Level
Initial Basket Component Level
Initial Basket Component Level:
For each Basket Component, as set forth in the table above.
Final Basket Component Level:
For each Basket Component, the arithmetic average of the closing levels of such Basket Component on each of the five Valuation Dates.
Currency Return:
For each Basket Currency, the performance of such Basket Currency from its Initial Spot Rate to its Final Spot Rate, calculated as follows:
Final Spot Rate
Initial Spot Rate
 
Investing in the notes involves a number of risks. See “Selected Risk Considerations” beginning on page 9 of this pricing supplement and “Risk Factors” beginning on page PS-3 of the accompanying product supplement.
 
Neither the Securities and Exchange Commission nor any state securities commission has approved or disapproved of the notes or passed upon the accuracy or the adequacy of this pricing supplement or the accompanying underlying supplement, the product supplement, the prospectus supplement and the prospectus. Any representation to the contrary is a criminal offense.
 
 
Price to Public(1)
Fees(2)
Proceeds to Issuer
Per note
$1,000.00
$10.00
$990.00
Total
$8,128,000.00
$7,200.00
$8,046,720.00
 
(1) Certain fiduciary accounts will pay a purchase price of $990.00 per note, and the placement agents with respect to sales made to such accounts will forgo any fees.
 
(2) J.P. Morgan Securities LLC, which we refer to as JPMS LLC, and JPMorgan Chase Bank, N.A. will act as placement agents for the notes. The placement agents will forego fees for sales to fiduciary accounts. The total fees represent the amount that the placement agents receive from sales to accounts other than such fiduciary accounts. The placement agents will receive a fee from Credit Suisse or one of our affiliates of $10.00 per $1,000 principal amount of notes.
 
The notes are not deposit liabilities and are not insured or guaranteed by the Federal Deposit Insurance Corporation or any other governmental agency of the United States, Switzerland or any other jurisdiction.
 
CALCULATION OF REGISTRATION FEE
Title of Each Class of Securities Offered
Maximum Aggregate Offering Price
Amount of Registration Fee
Notes
$8,128,000.00
$931.47
 
J.P.Morgan
Placement Agent
 
October 28, 2011  (cover continued on next page)
 
 

 
 
(continued from previous page)
 
Spot Rate:
For each Basket Currency on any day, the official MID WM Reuters fixing at 4:00 pm London Time on such day (Bloomberg page WMCO or any successor page), expressed as the number of U.S. dollars per one unit of such Basket Currency, as determined by the calculation agent, subject to the provisions set forth under “Description of the Notes—Market disruption events” in the accompanying product supplement.
Initial Spot Rate:
For each Basket Currency, as set forth in the table above.
Final Spot Rate:
For each Basket Currency, the Spot Rate on the Final Valuation Date.
Basket Return:
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
Valuation Dates:
November 5, 2012; November 6, 2012; November 7, 2012; November 8, 2012 and November 9, 2012 (each a “Valuation Date” and November 9, 2012, the “Final Valuation Date”)
Maturity Date:
November 15, 2012
Listing:
The notes will not be listed on any securities exchange.
CUSIP:
22546TGG0
Each scheduled Valuation Date is subject to postponement in respect of each Basket Component and each Basket Currency if such date is not an underlying business day for such Basket Component or such Basket Currency, as applicable, or as a result of a market disruption event in respect of any Basket Component or any Basket Currency, as applicable, as described in the accompanying product supplement under “Description of the Notes—Market disruption events.” The Maturity Date is subject to postponement if the scheduled Maturity Date is not a business day or if the scheduled Final Valuation Date is postponed because it is not an underlying business day for any Basket Component or Basket Currency, as applicable, or is postponed as a result of a market disruption event in respect of any Basket Component or Basket Currency, as applicable.
 
 
1

 

Additional Terms Specific to the Notes
 
You should read this pricing supplement together with the underlying supplement dated June 24, 2010, the product supplement dated July 15, 2009, the prospectus supplement dated March 25, 2009 and the prospectus dated March 25, 2009, relating to our Medium-Term Notes of which these notes are a part. You may access these documents on the SEC website at www.sec.gov as follows (or if such address has changed, by reviewing our filings for the relevant date on the SEC website):
 
 
 
Product supplement No. JPM-III dated July 15, 2009:
 
 
 
Prospectus supplement dated March 25, 2009:
 
 
 
Our Central Index Key, or CIK, on the SEC website is 1053092. As used in this pricing supplement, the “Company,” “we,” “us,” or “our” refers to Credit Suisse.
 
This pricing supplement, together with the documents listed above, contains the terms of the notes and supersedes all other prior or contemporaneous oral statements as well as any other written materials including preliminary or indicative pricing terms, correspondence, trade ideas, structures for implementation, sample structures, brochures or other educational materials of ours. You should carefully consider, among other things, the matters set forth in “Selected Risk Considerations” in this pricing supplement and “Risk Factors” in the accompanying product supplement, as the notes involve risks not associated with conventional debt securities. You should consult your investment, legal, tax, accounting and other advisors before deciding to invest in the notes.
 
 
2

 
 
What is the Payment at Maturity on the Notes Under Various Hypothetical Performance Scenarios for the Basket?
 
The following examples illustrate the Payment at Maturity for a $1,000 principal amount note under various hypothetical performance scenarios for the Basket Components and Basket Currencies, reflecting the Maximum Return of 15.60%. The Basket Component Returns and Currency Returns set forth below are expressed as percentages. The hypothetical Payment at Maturity calculations set forth below are for illustrative purposes only. The actual Payment at Maturity applicable to a purchaser of the notes will be based on the arithmetic average of the closing levels for each Basket Component and Basket Currency on the Valuation Dates. Any payment on the notes is subject to our ability to pay our obligations as they become due. The numbers appearing in the following scenarios have been rounded for ease of analysis.
 
Scenario 1
 
Basket Component
Hang Seng China Enterprises Index
KOSPI 200 Index
MSCI Taiwan Index
Hang Seng Index
MSCI Singapore Index
Basket Currency
Hong Kong dollar
Korean won
Taiwan dollar
Hong Kong dollar
Singapore dollar
Weighting
21.00%
25.00%
20.00%
25.00%
9.00%
Basket Component Return
105%
105%
105%
105%
105%
Currency Return
100%
100%
100%
100%
100%
Basket Return
1.050
Payment at Maturity
$1,100
 
In Scenario 1, the Basket Component Return for each Basket Component is 105%, indicating that each of the Basket Components has appreciated by 5% from its Initial Basket Component Level to its Final Basket Component Level, and the Currency Return for each Basket Currency is 100%, indicating that the Initial Spot Rate is the same as the Final Spot Rate for each Basket Currency. The Basket Return is 1.050 and the Payment at Maturity per $1,000 principal amount of notes is $1,100, calculated as follows:
 
Basket Return    
=    
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
 
=
(21.00% x 105% x 100%) + (25.00% x 105% x 100%) + (20.00% x 105% x 100%) + (25.00% x 105% x 100%) + (9.00% x 105% x 100%)
 
=
1.050
 
Because the Basket Return is greater than 1.0, the Payment at Maturity per $1,000 principal amount of notes is calculated as follows:
 
Payment at Maturity       
=    
$1,000 x [1 + (Basket Return - 1) x Upside Leverage Factor]
 
=
$1,000 x [1 + (1.050 - 1) x 2]
 
=
$1,100
 
 
3

 
 
Scenario 2
 
Basket Component
Hang Seng China Enterprises Index
KOSPI 200 Index
MSCI Taiwan Index
Hang Seng Index
MSCI Singapore Index
Basket Currency
Hong Kong dollar
Korean won
Taiwan dollar
Hong Kong dollar
Singapore dollar
Weighting
21.00%
25.00%
20.00%
25.00%
9.00%
Basket Component Return
100%
100%
100%
100%
100%
Currency Return
100%
110%
110%
100%
110%
Basket Return
1.054
Payment at Maturity
$1,108
 
In Scenario 2, the Basket Component Return for each Basket Component is 100%, indicating that the Initial Basket Component Level is the same as the Final Basket Component Level for each Basket Component, and the Currency Return is 100% for the Hong Kong dollar and 110% for Korean won, Taiwan dollar and Singapore dollar, indicating that each of the Korean won, Taiwan dollar and Singapore dollar has strengthened relative to the U.S. dollar such that the Final Spot Rate for each such Basket Currency has appreciated from its Initial Spot Rate by 10%. The Basket Return is 1.054 and the Payment at Maturity per $1,000 principal amount of notes is $1,108, calculated as follows:
 
Basket Return    
=    
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
 
=
(21.00% x 100% x 100%) + (25.00% x 100% x 110%) + (20.00% x 100% x 110%) + (25.00% x 100% x 100%) + (9.00% x 100% x 110%)
 
=
1.054
 
Because the Basket Return is greater than 1.0, the Payment at Maturity per $1,000 principal amount of notes is calculated as follows:
 
Payment at Maturity       
=    
$1,000 x [1 + (Basket Return - 1) x Upside Leverage Factor]
 
=
$1,000 x [1 + (1.054 - 1) x 2]
 
=
$1,108
 
 
4

 
 
Scenario 3
 
Basket Component
Hang Seng China Enterprises Index
KOSPI 200 Index
MSCI Taiwan Index
Hang Seng Index
MSCI Singapore Index
Basket Currency
Hong Kong dollar
Korean won
Taiwan dollar
Hong Kong dollar
Singapore dollar
Weighting
21.00%
25.00%
20.00%
25.00%
9.00%
Basket Component Return
120%
120%
120%
120%
120%
Currency Return
100%
110%
110%
100%
110%
Basket Return
1.2648
Payment at Maturity
$1,156.00
 
In Scenario 3, the Basket Component Return for each Basket Component is 120%, indicating that each of the Basket Components has appreciated by 20% from its Initial Basket Component Level to its Final Basket Component Level, and the Currency Return is 100% for the Hong Kong dollar and 110% for Korean won, Taiwan dollar and Singapore dollar, indicating that each of the Korean won, Taiwan dollar and Singapore dollar has strengthened relative to the U.S. dollar such that the Final Spot Rate for each such Basket Currency has appreciated from its Initial Spot Rate by 10%. The Basket Return is 1.2648 and the Payment at Maturity per $1,000 principal amount of notes is $1,156.00, reflecting the Maximum Return of 15.60%, calculated as follows:
 
Basket Return    
=    
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
 
=
(21.00% x 120% x 100%) + (25.00% x 120% x 110%) + (20.00% x 120% x 110%) + (25.00% x 120% x 100%) + (9.00% x 120% x 110%)
 
=
1.2648
 
Because the Basket Return is greater than 1.0, the Payment at Maturity per $1,000 principal amount of notes is calculated as follows:
 
Payment at Maturity       
=    
$1,000 x [1 + (Basket Return - 1) x Upside Leverage Factor],
subject to the Maximum Return
 
=
$1,000 x [1 + (1.2648 - 1) x 2], subject to the Maximum Return
 
=
$1,156.00
 
 
5

 
 
Scenario 4
 
Basket Component
Hang Seng China Enterprises Index
KOSPI 200 Index
MSCI Taiwan Index
Hang Seng Index
MSCI Singapore Index
Basket Currency
Hong Kong dollar
Korean won
Taiwan dollar
Hong Kong dollar
Singapore dollar
Weighting
21.00%
25.00%
20.00%
25.00%
9.00%
Basket Component Return
90%
90%
90%
90%
90%
Currency Return
100%
100%
120%
100%
125%
Basket Return
0.95625
Payment at Maturity
$1,000
 
In Scenario 4, the Basket Component Return for each Basket Component is 90%, indicating that each of the Basket Components has depreciated by 10% from its Initial Basket Component Level to its Final Basket Component Level, and the Currency Returns for the Hong Kong dollar, Korean won, Taiwan dollar and Singapore dollar are 100%, 100%, 120% and 125%, respectively, indicating in the case of the Taiwan dollar and Singapore dollar that such currencies have strengthened relative to the U.S. dollar such that the Final Spot Rate has appreciated from the Initial Spot Rate by 20% and 25%, respectively, for such currencies. The Basket Return is 0.95625 and the Payment at Maturity per $1,000 principal amount of notes is $1,000, calculated as follows:
 
Basket Return    
=    
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
 
=
(21.00% x 90% x 100%) + (25.00% x 90% x 100%) + (20.00% x 90% x 120%) + (25.00% x 90% x 100%) + (9.00% x 90% x 125%)
 
=
0.95625
 
Because the Basket Return is greater than or equal to 0.9 and less than or equal to 1.0, the Payment at Maturity per $1,000 principal amount of notes is $1,000.
 
 
6

 
 
Scenario 5
 
Basket Component
Hang Seng China Enterprises Index
KOSPI 200 Index
MSCI Taiwan Index
Hang Seng Index
MSCI Singapore Index
Basket Currency
Hong Kong dollar
Korean won
Taiwan dollar
Hong Kong dollar
Singapore dollar
Weighting
21.00%
25.00%
20.00%
25.00%
9.00%
Basket Component Return
85%
70%
75%
80%
90%
Currency Return
100%
100%
120%
100%
125%
Basket Return
0.83475
Payment at Maturity
$927.50
 
In Scenario 5, the Basket Component Returns for the Hang Seng China Enterprises Index, the KOSPI 200 Index, the MSCI Taiwan Index, the Hang Seng Index and the MSCI Singapore Index are 85%, 70%, 75%, 80% and 90% respectively, indicating that each of the Basket Components has depreciated from its Initial Basket Component Level to its Final Basket Component Level, and the Currency Returns for the Hong Kong dollar, Korean won, Taiwan dollar and Singapore dollar are 100%, 100%, 120% and 125%, respectively, indicating in the case of the Taiwan dollar and Singapore dollar that such currencies have strengthened relative to the U.S. dollar such that the Final Spot Rate has appreciated from the Initial Spot Rate by 20% and 25%, respectively, for such currencies. The Basket Return is 0.83475 and the Payment at Maturity per $1,000 principal amount of notes is $927.50, calculated as follows:
 
Basket Return    
=    
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
 
=
(21.00% x 85% x 100%) + (25.00% x 70% x 100%) + (20.00% x 75% x 120%) + (25.00% x 80% x 100%) + (9.00% x 90% x 125%)
 
=
0.83475
 
Because the Basket Return is less than 0.9, the Payment at Maturity per $1,000 principal amount of notes is calculated as follows:
 
Payment at Maturity       
=    
$1,000 x [1 + (Basket Return -1 + 10%) x 1.1111]
 
=
$1,000 x [1 + (0.83475 - 1 + 10%) x 1.1111]
 
=
$927.50
 
 
7

 
 
Scenario 6
 
Basket Component
Hang Seng China Enterprises Index
KOSPI 200 Index
MSCI Taiwan Index
Hang Seng Index
MSCI Singapore Index
Basket Currency
Hong Kong dollar
Korean won
Taiwan dollar
Hong Kong dollar
Singapore dollar
Weighting
21.00%
25.00%
20.00%
25.00%
9.00%
Basket Component Return
60%
65%
70%
75%
80%
Currency Return
100%
75%
85%
100%
55%
Basket Return
0.593975
Payment at Maturity
$659.98
 
In Scenario 6, the Basket Component Returns for the Hang Seng China Enterprises Index, the KOSPI 200 Index, the MSCI Taiwan Index, the Hang Seng Index and the MSCI Singapore Index are 60%, 65%, 70%, 75% and 80% respectively, indicating that each of the Basket Components has depreciated from its Initial Basket Component Level to its Final Basket Component Level, and the Currency Returns for the Hong Kong dollar, Korean won, Taiwan dollar and Singapore dollar are 100%, 75%, 85% and 55%, respectively, indicating in the case of the Korean won, Taiwan dollar and Singapore dollar that such currencies have weakened relative to the U.S. dollar such that the Final Spot Rate has depreciated from the Initial Spot Rate by -25%, -15% and -45%, respectively, for such currencies. The Basket Return is 0.593975 and the Payment at Maturity per $1,000 principal amount of notes is $659.98, calculated as follows:
 
Basket Return    
=    
(21.00% x Hang Seng China Enterprises Index Basket Component Return x Hong Kong dollar Currency Return) + (25.00% x KOSPI 200 Index Basket Component Return x Korean won Currency Return) + (20.00% x MSCI Taiwan Index Basket Component Return x Taiwan dollar Currency Return) + (25.00% x Hang Seng Index Basket Component Return x Hong Kong dollar Currency Return) + (9.00% x MSCI Singapore Index Basket Component Return x Singapore dollar Currency Return)
 
=
(21.00% x 60% x 100%) + (25.00% x 65% x 75%) + (20.00% x 70% x 85%) + (25.00% x 75% x 100%) + (9.00% x 80% x 55%)
 
=
0.593975
 
Because the Basket Return is less than 0.9, the Payment at Maturity per $1,000 principal amount of notes is calculated as follows:
 
Payment at Maturity       
=    
$1,000 x [1 + (Basket Return -1 + 10%) x 1.1111]
 
=
$1,000 x [1 + (0.593975 - 1 + 10%) x 1.1111]
 
=
$659.98
 
 
8

 
 
Selected Purchase Considerations
 
 
·
APPRECIATION POTENTIAL IF THE BASKET RETURN IS POSITIVE  The notes provide the opportunity to enhance returns by multiplying any appreciation in the value of the Basket by two, up to the Maximum Return on the notes of 15.60%. Accordingly, the maximum amount payable on the notes is $1,156.00 for every $1,000 principal amount of notes. Because the notes are our senior unsecured obligations, payment of any amount on the notes is subject to our ability to pay our obligations as they become due.
 
 
·
LIMITED PROTECTION AGAINST LOSS  Payment at maturity of the principal amount of the notes is protected against a decline in the value of the Basket of up to 10%. If the Basket Return is less than 0.90, for every 1% by which the Basket Return is less than 0.90, you will lose an amount equal to 1.1111% of the principal amount of your notes and you could lose your entire investment.
 
 
·
DIVERSIFICATION AMONG THE BASKET COMPONENTS  The return on the notes is linked to a basket consisting of the Hang Seng China Enterprises Index, the KOSPI 200 Index, the MSCI Taiwan Index, the Hang Seng® Index, the MSCI Singapore Index, and the exchange rates of the Hong Kong dollar, the Korean won, the new Taiwan dollar and the Singapore dollar, each with respect to the U.S. dollar. The Hang Seng China Enterprises Index is a market-capitalization weighted index consisting of all the Hong Kong listed H-shares of Chinese enterprises one year after the first H-share company was listed on the HKSE. H-shares are Hong Kong listed shares, traded in Hong Kong dollars, of Chinese state-owned enterprises. The KOSPI 200 is a capitalization-weighted index of 200 Korean stocks which make up a large majority of the total market value of the KRX Stock Market (“KRX”). The constituent stocks are selected on a basis of the market value of the individual stocks, liquidity and their relative positions in their respective industry groups. The MSCI Taiwan Index is a free float-adjusted market capitalization index of securities listed on the Taiwan Stock Exchange. The Hang Seng® Index is a free-float adjusted market capitalization weighted stock market index of The Stock Exchange of Hong Kong Ltd. (“HKSE”) and purports to be an indicator of the performance of the Hong Kong stock market. The MSCI Singapore Index is a free float-adjusted market capitalization index that is calculated by MSCI Inc. (“MSCI”) and designed to measure equity market performance in Singapore. For further information on the Basket Components, see “The Reference Indices—The Hang Seng® Indices—The Hang Seng China Enterprises Index,” “The Reference Indices—The Korea Stock Price Index 200,” “The Reference Indices—The MSCI Indices—The MSCI Taiwan Index,” “The Reference Indices—The Hang Seng® Indices—The Hang Seng® Index” and “The Reference Indices—The MSCI Indices—The MSCI Singapore Index” in the accompanying underlying supplement.
 
 
·
THE MATERIAL U.S. FEDERAL INCOME TAX CONSIDERATIONS  Please refer to “The Material United States Federal Income Tax Considerations” in this pricing supplement for a discussion of the material U.S. federal income tax considerations for making an investment in the notes.
 
Selected Risk Considerations
 
An investment in the notes involves significant risks. Investing in the notes is not equivalent to investing directly in the Basket, the Basket Currencies, the Basket Components or any of the stocks comprising the Basket Components. These risks are explained in more detail in the “Risk Factors” section of the accompanying product supplement.
 
 
·
YOUR INVESTMENT IN THE NOTES MAY RESULT IN A LOSS  The notes do not guarantee any return of your investment. The return on the notes at maturity is linked to the performance of the Basket as reflected by the Basket Return. If the Basket Return is greater than or equal to 0.90, you will be entitled to receive at least the principal amount of your notes at maturity. However, if the Basket Return is less than 0.90, your investment will be fully exposed on a leveraged basis to the decline in the value of the Basket and for every 1% by which the Basket Return is less than 0.90, you will lose an amount equal to 1.1111% of the principal amount of your notes and you could lose your entire investment.
 
 
9

 
 
 
·
THE NOTES ARE SUBJECT TO THE CREDIT RISK OF CREDIT SUISSE  Although the return on the notes will be based on the performance of the Basket, the payment of any amount due on the notes is subject to the credit risk of Credit Suisse. Investors are dependent on our ability to pay all amounts due on the notes and, therefore, investors are subject to our credit risk. In addition, any decline in our credit ratings, any adverse changes in the market’s view of our creditworthiness or any increase in our credit spreads is likely to adversely affect the value of the notes prior to maturity.
 
 
·
YOUR MAXIMUM GAIN ON THE NOTES IS LIMITED TO THE MAXIMUM RETURN  If the Basket Return is greater than 1.00, you will receive at maturity $1,000 plus an additional amount that will not exceed the Maximum Return on the notes of 15.60%, regardless of the appreciation in the Basket, which may be significant. Accordingly, the maximum amount payable on the notes is $1,156.00 per $1,000 principal amount of notes. Any payment on the notes is subject to our ability to pay our obligations as they become due.
 
 
·
CHANGES IN THE VALUES OF THE BASKET COMPONENTS AND THE EXCHANGE RATES OF THE BASKET CURRENCIES MAY OFFSET EACH OTHER  Price movements in the Basket Components and movements in the exchange rates of the Basket Currencies may not correlate with each other. At a time when the value of one or more of the Basket Components increases and/or one or more of the Basket Currencies appreciates relative to the U.S. dollar, the value of the other Basket Components may not increase as much or may even decline and/or one or more of the Basket Currencies may not appreciate as much or may weaken relative to the U.S. dollar. Therefore, in calculating the Basket Return, increases in the value of one or more of the Basket Components and/or increases in the value of one or more of the Basket Currencies relative to the U.S. dollar may be moderated, or more than offset, by lesser increases or declines in the value of the other Basket Components and/or the value of the other Basket Currencies relative to the U.S. dollar.
 
 
·
THE HONG KONG DOLLAR DOES NOT FLOAT FREELY  Exchange rates of many developed and major emerging economies, including the United States, currently are “floating,” meaning that they are permitted to fluctuate in value relative to other currencies. However, the Hong Kong dollar does not float freely. The exchange rate of the Hong Kong dollar relative to the U.S. dollar is fixed within a narrow range by the Hong Kong Monetary Authority. For so long as the Hong Kong Monetary Authority restricts the Hong Kong dollar from floating relative to the U.S. dollar, the exchange rate between the Hong Kong dollar and the U.S. dollar will not fluctuate by any appreciable amount. If at any time the Hong Kong Monetary Authority permits the Hong Kong dollar to float, the exchange rate between the Hong Kong dollar and the U.S. dollar is likely to move significantly in a very short period of time, which would affect the Basket Return, and, consequently, the value of your notes.
 
 
·
THE NOTES ARE SUBJECT TO CURRENCY EXCHANGE RISK  Foreign currency exchange rates vary over time, and may vary considerably during the term of the notes. The relative values of the U.S. dollar and each of the Basket Currencies are at any moment a result of the supply and demand for such currencies. Changes in foreign currency exchange rates result over time from the interaction of many factors directly or indirectly affecting economic and political conditions in the country or countries in which such currency is used, and economic and political developments in other relevant countries. Of particular importance to currency exchange risk are:
 
 
·
existing and expected rates of inflation;
 
 
·
existing and expected interest rate levels;
 
 
·
the balance of payments in the United States, China, Korea, Taiwan and Singapore and between each country and its major trading partners; and
 
 
·
the extent of governmental surplus or deficit in the United States, China, Korea, Taiwan and Singapore.
 
All of these factors are, in turn, sensitive to the monetary, fiscal and trade policies pursued by the United States, China, Korea, Taiwan and Singapore and those of other countries important to international trade and finance.
 
 
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·
CERTAIN BUILT-IN COSTS ARE LIKELY TO ADVERSELY AFFECT THE VALUE OF THE NOTES PRIOR TO MATURITY  While the Payment at Maturity described in this pricing supplement is based on the full principal amount of your notes, the original issue price of the notes includes the agent’s commission and the cost of hedging our obligations under the notes through one or more of our affiliates. As a result, the price, if any, at which Credit Suisse (or its affiliates), will be willing to purchase notes from you in secondary market transactions, if at all, will likely be lower than the original issue price, and any sale prior to the Maturity Date could result in a substantial loss to you. The notes are not designed to be short-term trading instruments. Accordingly, you should be able and willing to hold your notes to maturity.
 
 
·
NO VOTING RIGHTS OR DIVIDEND PAYMENTS  As a holder of the notes, you will not have voting rights or rights to receive cash dividends or other distributions or other rights with respect to the stocks that comprise the Basket Components.
 
 
·
NO INTEREST PAYMENTS  As a holder of the notes, you will not receive interest payments.
 
 
·
RISKS ASSOCIATED WITH INVESTMENTS IN SECURITIES INDEXED TO THE VALUE OF FOREIGN EQUITY SECURITIES  Investments in securities indexed to the value of foreign equity securities, such as the securities composing the Hang Seng China Enterprises Index, the KOSPI 200 Index, the MSCI Taiwan Index, the Hang Seng® Index and the MSCI Singapore Index, involve risks associated with the securities markets in those countries, including the risk of volatility in those markets, governmental intervention in those markets and cross-shareholdings in companies in certain countries. Foreign companies are subject to accounting, auditing and financial reporting standards and requirements different from those applicable to U.S. reporting companies.
 
 
·
LACK OF LIQUIDITY  The notes will not be listed on any securities exchange. Credit Suisse (or its affiliates) intends to offer to purchase the notes in the secondary market but is not required to do so. Even if there is a secondary market, it may not provide enough liquidity to allow you to trade or sell the notes when you wish to do so. Because other dealers are not likely to make a secondary market for the notes, the price at which you may be able to trade your notes is likely to depend on the price, if any, at which Credit Suisse (or its affiliates) is willing to buy the notes. If you have to sell your notes prior to maturity, you may not be able to do so or you may have to sell them at a substantial loss.
 
 
·
POTENTIAL CONFLICTS  We and our affiliates play a variety of roles in connection with the issuance of the notes, including acting as calculation agent and hedging our obligations under the notes. In performing these duties, the economic interests of the calculation agent and other affiliates of ours are potentially adverse to your interests as an investor in the notes.
 
 
·
MANY ECONOMIC AND MARKET FACTORS WILL AFFECT THE VALUE OF THE NOTES  In addition to the levels of the Basket Components and the exchange rates of the Basket Currencies with respect to the U.S. dollar on any day, the value of the notes will be affected by a number of economic and market factors that may either offset or magnify each other, including:
 
 
·
the expected volatility of the Basket Components;
 
 
·
the time to maturity of the notes;
 
 
·
the dividend rates on the stocks comprising the Basket Components;
 
 
·
interest and yield rates in the market generally;
 
 
·
geopolitical conditions and a variety of economic, financial, political, regulatory or judicial events that affect the components comprising the Basket Components or markets generally;
 
 
·
the exchange rate and volatility of the exchange rate between the U.S. dollar, the Hong Kong dollar, the Korean won, the new Taiwan dollar and the Singapore dollar; and
 
 
·
our creditworthiness, including actual or anticipated downgrades in our credit ratings.
 
Some or all of these factors may influence the price that you will receive if you choose to sell your notes prior to maturity. The impact of any of the factors set forth above may enhance or offset some or all of any change resulting from another factor or factors.
 
 
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Supplemental Use of Proceeds and Hedging
 
We intend to use the proceeds of this offering for our general corporate purposes, which may include the refinancing of existing debt outside Switzerland. Some or all of the proceeds we receive from the sale of the notes may be used in connection with hedging our obligations under the notes through one or more of our affiliates. Such hedging or trading activities on or prior to the Pricing Date and during the term of the notes (including on the Valuation Dates) could adversely affect the value of the Basket and, as a result, could decrease the amount you may receive on the notes at maturity. For additional information, see “Use of Proceeds and Hedging” in the accompanying product supplement.
 
Historical Information
 
The following graphs set forth the historical performance of each Basket Component based on the closing levels of such Basket Component from January 1, 2006 through October 28, 2011 and the historical performance of each Basket Currency based on the exchange rates of such Basket Currency with respect to the U.S. dollar (expressed as the number of U.S. dollars per one unit of such Basket Currency) from January 1, 2006 through October 28, 2011. We obtained the closing levels of the Basket Components and the exchange rates of the Basket Currencies below from Bloomberg, without independent verification. The exchange rates published by Bloomberg for the Basket Currencies on any day including the Valuation Dates may differ from the Spot Rates on such days because the historical rates published by Bloomberg may be based on different fixing sources or fixing times than the Spot Rates used to determine the Currency Returns applicable to the notes. We make no representation or warranty as to the accuracy or completeness of the information obtained from Bloomberg. The closing level of the Hang Seng China Enterprises Index on October 28, 2011 was 10625.20. The HKDUSD exchange rate on October 28, 2011 was 0.12880456. The closing level of the KOSPI 200 Index on October 28, 2011 was 252.47. The KRWUSD exchange rate on October 28, 2011 was 0.00090494. The closing level of the MSCI Taiwan Index on October 28, 2011 was 269.99. The TWDUSD exchange rate on October 28, 2011 was 0.03349186. The closing level of the Hang Seng® Index on October 28, 2011 was 20019.20. The closing level of the MSCI Singapore Index on October 28, 2011 was 333.04. The SGDUSD exchange rate on October 28, 2011 was 0.80580177.
 
The historical levels of the Basket Components and the historical exchange rates of the Basket Currencies should not be taken as an indication of future performance, and no assurance can be given as to the closing level of the Basket Components on any of the Valuation Dates or as to the exchange rates of the Basket Currencies with respect to the U.S. dollar on the Final Valuation Date. We cannot give you assurance that the performance of the Basket Components or the Basket Currencies will result in the return of any of your initial investment.
 
 
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The Material United States Federal Income Tax Considerations
 
The following discussion summarizes the material U.S. federal income tax consequences of owning and disposing of securities that may be relevant to holders of securities that acquire their securities from us as part of the original issuance of the securities.  This discussion applies only to holders that hold their securities as capital assets within the meaning of the Internal Revenue Code of 1986, as amended (the “Code”).  Further, this discussion does not address all of the U.S. federal income tax consequences that may be relevant to you in light of your individual circumstances or if you are subject to special rules, such as if you are:
 
·
a financial institution,
 
·
a mutual fund,
 
·
a tax-exempt organization,
 
·
a grantor trust,
 
·
certain U.S. expatriates,
 
·
an insurance company,
 
·
a dealer or trader in securities or foreign currencies,
 
·
a person (including traders in securities) using a mark-to-market method of accounting,
 
·
a person who holds securities as a hedge or as part of a straddle with another position, constructive sale,conversion transaction or other integrated transaction, or
 
·
an entity that is treated as a partnership  for U.S. federal income tax purposes.
 
 
The discussion is based upon the Code, law, regulations, rulings and decisions, in each case, as available and in effect as of the date hereof, all of which are subject to change, possibly with retroactive effect.  Tax consequences under state, local and foreign laws are not addressed herein.  No ruling from the U.S. Internal Revenue Service (the “IRS”) has been or will be sought as to the U.S. federal income tax consequences of the ownership and disposition of securities, and the following discussion is not binding on the IRS.
 
You should consult your tax advisor as to the specific tax consequences to you of owning and disposing of securities, including the application of federal, state, local and foreign income and other tax laws based on your particular facts and circumstances.
 
IRS CIRCULAR 230 REQUIRES THAT WE INFORM YOU THAT ANY TAX STATEMENT HEREIN REGARDING ANY U.S. FEDERAL TAX IS NOT INTENDED OR WRITTEN TO BE USED, AND CANNOT BE USED, BY ANY TAXPAYER FOR THE PURPOSE OF AVOIDING ANY PENALTIES. ANY SUCH STATEMENT HEREIN WAS WRITTEN TO SUPPORT THE MARKETING OR PROMOTION OF THE TRANSACTION(S) OR MATTER(S) TO WHICH THE STATEMENT RELATES.  A PROSPECTIVE INVESTOR (INCLUDING A TAX-EXEMPT INVESTOR) IN THE SECURITIES SHOULD CONSULT ITS OWN TAX ADVISOR IN DETERMINING THE TAX CONSEQUENCES OF AN INVESTMENT IN THE SECURITIES, INCLUDING THE APPLICATION OF STATE, LOCAL OR OTHER TAX LAWS AND THE POSSIBLE EFFECTS OF CHANGES IN FEDERAL OR OTHER TAX LAWS.
 
Characterization of the Securities
 
There are no regulations, published rulings, or judicial decisions addressing the characterization for U.S. federal income tax purposes of securities with terms that are substantially the same as those of your securities.  Thus, the characterization of the securities is not certain.  Our special tax counsel, Orrick, Herrington & Sutcliffe LLP, has advised that the securities should be treated, for U.S. federal income tax purposes, as a prepaid forward contract, with respect to the Basket, that is eligible for open transaction treatment.  In the absence of an administrative or judicial ruling to the contrary, we and, by acceptance of the securities, you agree to treat your securities for all tax purposes in accordance with such characterization.  In light of the fact that we agree to treat the securities as a prepaid forward contract, the balance of this discussion assumes that the securities will be so treated.
 
You should be aware that the characterization of the securities as described above is not certain, nor is it binding on the IRS or the courts.  Thus, it is possible that the IRS would seek to characterize your securities in a manner that results in tax consequences to you that are different from those described above.  For example, the IRS
 
 
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might assert that the securities constitute debt instruments that are “contingent payment debt instruments” that are subject to special tax rules under the applicable Treasury regulations governing the recognition of income over the term of your securities.  If the securities were to be treated as contingent payment debt instruments (one of the requirements of which is that the instruments have a term of more than one year), you would be required to include in income on an economic accrual basis over the term of the securities an amount of interest that is based upon the yield at which we would issue a non-contingent fixed-rate debt instrument with other terms and conditions similar to your securities, or the comparable yield.  The characterization of securities as contingent payment debt instruments under these rules is likely to be adverse.  However, if the securities had a term of one year or less, the rules for short-term debt obligations would apply rather than the rules for contingent payment debt instruments.  Under Treasury regulations, a short-term debt obligation is treated as issued at a discount equal to the difference between all payments on the obligation and the obligation’s issue price.  A cash method U.S. Holder that does not elect to accrue the discount in income currently should include the payments attributable to interest on the security as income upon receipt.  Under these rules, any contingent payment would be taxable upon receipt by a cash basis taxpayer as ordinary interest income.  You should consult your tax advisor regarding the possible tax consequences of characterization of the securities as contingent payment debt instruments or short-term debt obligations.  It is also possible that the IRS would seek to characterize your securities as options, and thus as Code section 1256 contracts in the event that they are listed on a securities exchange.  In such case, the securities would be marked-to-market at the end of the year and 40% of any gain or loss would be treated as short-term capital gain or loss, and the remaining 60% of any gain or loss would be treated as long-term capital gain or loss.  We are not responsible for any adverse consequences that you may experience as a result of any alternative characterization of the securities for U.S. federal income tax or other tax purposes.
 
You should consult your tax advisor as to the tax consequences of such characterization and any possible alternative characterizations of your securities for U.S. federal income tax purposes.
 
U.S. Holders
 
For purposes of this discussion, the term “U.S. Holder,” for U.S. federal income tax purposes, means a beneficial owner of securities that is (1) a citizen or resident of the United States, (2) a corporation (or an entity treated as a corporation for U.S. federal income tax purposes) created or organized in or under the laws of the United States or any state thereof or the District of Columbia, (3) an estate, the income of which is subject to U.S. federal income taxation regardless of its source, or (4) a trust, if (a) a court within the United States is able to exercise primary supervision over the administration of such trust and one or more U.S. persons have the authority to control all substantial decisions of the trust or (b) such trust has in effect a valid election to be treated as a domestic trust for U.S. federal income tax purposes.  If a partnership (or an entity treated as a partnership for U.S. federal income tax purposes) holds securities, the U.S. federal income tax treatment of such partnership and a partner in such partnership will generally depend upon the status of the partner and the activities of the partnership.  If you are a partnership, or a partner of a partnership, holding securities, you should consult your tax advisor regarding the tax consequences to you from the partnership’s purchase, ownership and disposition of the securities.
 
In accordance with the agreed-upon tax treatment described above, upon receipt of the redemption amount of the securities from us, a U.S. Holder will recognize gain or loss equal to the difference between the amount of cash received from us and the U.S. Holder’s tax basis in the security at that time.  For securities with a term of more than one year, such gain or loss will be long-term capital gain or loss if the U.S. Holder has held the security for more than one year at maturity.  For securities with a term of one year or less, such gain or loss will be short-term capital gain or loss.
 
Upon the sale or other taxable disposition of a security, a U.S. Holder generally will recognize capital gain or loss equal to the difference between the amount realized on the sale or other taxable disposition and the U.S. Holder’s tax basis in the security (generally its cost).  For securities with a term of more than one year, such gain or loss will be long-term capital gain or loss if the U.S. Holder has held the security for more than one year at the time of disposition.  For securities with a term of one year or less, such gain or loss will be short-term capital gain or loss.
 
Legislation Affecting Securities Held Through Foreign Accounts
 
Under the “Hiring Incentives to Restore Employment Act” (the “Act”), a 30% withholding tax is imposed on “withholdable payments” made to foreign financial institutions (and their more than 50% affiliates) unless the payee foreign financial institution agrees, among other things, to disclose the identity of any U.S. individual with
 
 
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an account at the institution (or the institution’s affiliates) and to annually report certain information about such account.  “Withholdable payments” include payments of interest (including original issue discount), dividends, and other items of fixed or determinable annual or periodical gains, profits, and income (“FDAP”), in each case, from sources within the United States, as well as gross proceeds from the sale of any property of a type which can produce interest or dividends from sources within the United States.  The Act also requires withholding agents making withholdable payments to certain foreign entities that do not disclose the name, address, and taxpayer identification number of any substantial U.S. owners (or certify that they do not have any substantial United States owners) to withhold tax at a rate of 30%.  We will treat payments on the securities as withholdable payments for these purposes.

Withholding under the Act will apply to all withholdable payments without regard to whether the beneficial owner of the payment is a U.S. person, or would otherwise be entitled to an exemption from the imposition of withholding tax pursuant to an applicable tax treaty with the United States or pursuant to U.S. domestic law.  Unless a foreign financial institution is the beneficial owner of a payment, it will be subject to refund or credit in accordance with the same procedures and limitations applicable to other taxes withheld on FDAP payments provided that the beneficial owner of the payment furnishes such information as the IRS determines is necessary to determine whether such beneficial owner is a United States owned foreign entity and the identity of any substantial United States owners of such entity.  Generally, the Act’s withholding and reporting regime will apply to payments made after December 31, 2012.  Thus, if you hold your securities through a foreign financial institution or foreign corporation or trust, a portion of any of your payments made after December 31, 2012 may be subject to 30% withholding.
 
 
Non-U.S. Holders Generally
 
In the case of a holder of the securities that is not a U.S. Holder and has no connection with the United States other than holding its securities (a “Non-U.S. Holder”), payments made with respect to the securities will not be subject to U.S. withholding tax, provided that such Non-U.S. Holder complies with applicable certification requirements.  Any gain realized upon the sale or other disposition of the securities by a Non-U.S. Holder generally will not be subject to U.S. federal income tax unless (1) such gain is effectively connected with a U.S. trade or business of such Non-U.S. Holder or (2) in the case of an individual, such individual is present in the United States for 183 days or more in the taxable year of the sale or other disposition and certain other conditions are met.  Non-U.S. Holders should consult their tax advisors regarding the possibility that any portion of the return with respect to the securities could be characterized as dividend income and be subject to U.S. withholding tax.
 
Non-U.S. Holders that are subject to U.S. federal income taxation on a net income basis with respect to their investment in the securities should refer to the discussion above relating to U.S. Holders.
 
Legislation Affecting Substitute Dividend and Dividend Equivalent Payments

The Act treats a “dividend equivalent” payment as a dividend from sources within the United States.  Under the Act, unless reduced by an applicable tax treaty with the United States, such payments generally would be subject to U.S. withholding tax.  A “dividend equivalent” payment is (i) a substitute dividend payment made pursuant to a securities lending or a sale-repurchase transaction that (directly or indirectly) is contingent upon, or determined by reference to, the payment of a dividend from sources within the United States, (ii) a payment made pursuant to a “specified notional principal contract” that (directly or indirectly) is contingent upon, or determined by reference to, the payment of a dividend from sources within the United States, and (iii) any other payment determined by the IRS to be substantially similar to a payment described in the preceding clauses (i) and (ii).  In the case of payments made after March 18, 2012, a dividend equivalent payment includes a payment made pursuant to any notional principal contract unless otherwise exempted by the IRS.  Where the securities reference an interest in a fixed basket of securities or an index, such fixed basket or index will be treated as a single security.  Where the securities reference an interest in a basket of securities or an index that may provide for the payment of dividends from sources within the United States, absent guidance from the IRS, it is uncertain whether the IRS would determine that payments under the securities are substantially similar to a dividend.  If the IRS determines that a payment is substantially similar to a dividend, it may be subject to U.S. withholding tax, unless reduced by an applicable tax treaty.
 
 
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U.S. Federal Estate Tax Treatment of Non-U.S. Holders

The securities may be subject to U.S. federal estate tax if an individual Non-U.S. Holder holds the securities at the time of his or her death.  The gross estate of a Non-U.S. Holder domiciled outside the United States includes only property situated in the United States.  Individual Non-U.S. Holders should consult their tax advisors regarding the U.S. federal estate tax consequences of holding the securities at death.

IRS Notice on Certain Financial Transactions

On December 7, 2007, the IRS and the Treasury Department issued Notice 2008-2, in which they stated they are considering issuing new regulations or other guidance on whether holders of an instrument such as the securities should be required to accrue income during the term of the instrument.  The IRS and Treasury Department also requested taxpayer comments on (1) the appropriate method for accruing income or expense (e.g., a mark-to-market methodology or a method resembling the noncontingent bond method), (2) whether income and gain on such an instrument should be ordinary or capital, and (3) whether foreign holders should be subject to withholding tax on any deemed income accrual.

Accordingly, it is possible that regulations or other guidance may be issued that require holders of the securities to recognize income in respect of the securities prior to receipt of any payments thereunder or sale thereof.  Any regulations or other guidance that may be issued could result in income and gain (either at maturity or upon sale) in respect of the securities being treated as ordinary income.  It is also possible that a Non-U.S. Holder of the securities could be subject to U.S. withholding tax in respect of the securities under such regulations or other guidance.  It is not possible to determine whether such regulations or other guidance will apply to your securities (possibly on a retroactive basis).  You are urged to consult your tax advisor regarding Notice 2008-2 and its possible impact on you.

Information Reporting Regarding Specified Foreign Financial Assets

The Act requires individual U.S. Holders with an interest in any “specified foreign financial asset” to file a report with the IRS with information relating to the asset, including the maximum value thereof, for any taxable year in which the aggregate value of all such assets is greater than $50,000 (or such higher dollar amount as prescribed by Treasury regulations).  Specified foreign financial assets include any depository or custodial account held at a foreign financial institution; any debt or equity interest in a foreign financial institution if such interest is not regularly traded on an established securities market; and, if not held at a financial institution, (i) any stock or security issued by a non-U.S. person, (ii) any financial instrument or contract held for investment where the issuer or counterparty is a non-U.S. person, and (iii) any interest in an entity which is a non-U.S. person.  Depending on the aggregate value of your investment in specified foreign financial assets, you may be obligated to file an annual report under this provision.  The requirement to file a report is effective for taxable years beginning after March 18, 2010.  Penalties apply to any failure to file a required report.  Additionally, in the event a U.S. Holder does not file the information report relating to disclosure of specified foreign financial assets, the statute of limitations on the assessment and collection of U.S. federal income taxes of such U.S. Holder for the related tax year may not close before such information is filed.  You should consult your own tax advisor as to the possible application to you of this information reporting requirement and related statute of limitations tolling provision.

Backup Withholding and Information Reporting

A holder of the securities (whether a U.S. Holder or a Non-U.S. Holder) may be subject to information reporting requirements and to backup withholding with respect to certain amounts paid to such holder unless it provides a correct taxpayer identification number, complies with certain certification procedures establishing that it is not a U.S. Holder or establishes proof of another applicable exemption, and otherwise complies with applicable requirements of the backup withholding rules.

Supplemental Plan of Distribution
 
Under the terms of distribution agreements with JPMS LLC and JPMorgan Chase Bank, N.A., each dated as of June 18, 2008, JPMS LLC and JPMorgan Chase Bank, N.A. will act as placement agents for the notes. The placement agents will receive a fee from Credit Suisse or one of our affiliates of $10.00 per $1,000 principal amount of notes and will forgo fees for sales to fiduciary accounts. For additional information, see “Underwriting” in the accompanying product supplement.
 
 
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