On 23 April 2019, the Dutch State Secretary of Finance published a letter and a (draft) decree on the Dutch international more…
Based on the Parent-Subsidiary Directive (PSD), dividend payments from EU entities to qualifying EU entities may be exempt more…
Last year, on February 7th and April 25th, we informed you about the envisaged introduction of an ultimate beneficial owner (“UBO”) register more…
During many years, Luxembourg has been a preferred jurisdiction for structuring investments more…
The Luxembourg Holding and Financing Company, The SOPARFI (Société de participations financières), is a normally more…
The title of this discussion group meeting is "Developments in EU investment funds | opportunities in Luxembourg and Cyprus" more…
As a general rule costs incurred related to the acquisition or disposal of shares of a subsidiary that qualifies for more…
The Dutch government emphasizes repeatedly and consistently that the objectives of their approach in domestic and international tax policy matters more…
On 25 May 2018 the EcoFin has adopted a legislative measure (also known as 'DAC 6'), which imposes an obligation on qualifying intermediaries, such as lawyers, tax advisors, auditors and notaries (notarissen) more…
On 22 November 2018 the Dutch State Secretary of Finance informed Parliament in a white paper on his more…
On 15 November 2018 the Lower House of Parliament adopted several draft legislative proposals in relation to the Tax Plan 2019 more…
Structured (un)leveraged corporate M & A transactions in the Netherlands involving Dutch resident corporate income tax payers often benefit from a statutory tax facility more…