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Searching Content indexed under Tax Treaties by Elvinger, Hoss & Prussen ordered by Published Date Descending.
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Title
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Date
1
Luxembourg And France: Entry Into Force Of New Double Tax Treaty
The law approving the new double tax treaty and its additional protocol ("New DTT") signed on 20 March 2018 by the governments
Luxembourg
25 Jul 2019
2
France Ratifies The New DTT With Luxembourg
France has ratified the new tax treaty signed with Luxembourg ("DTT") last year by the Law n°2019-130 dated 25 February 2019.
Luxembourg
12 Mar 2019
3
Luxembourg Ratifies The MLI
On 14 February 2019, the Luxembourg Parliament adopted Bill of law 7333 approving the text of the Multilateral Instrument ("MLI") signed in June 2017.
Luxembourg
7 Mar 2019
4
Tax Treaty News - December 2018
On 24 October 2018, during the weekly meeting of the French government, the French Minister for foreign affairs presented the bill authorising the ratification of the new double tax treaty signed by the French and Luxembourg ...
Luxembourg
19 Dec 2018
5
State Aid: No Selective Tax Treatment To McDonald's
MLI refers to the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting.
Luxembourg
18 Dec 2018
6
Bill Of Law 7333 On The Multilateral Instrument
On 7 June 2017, Luxembourg together with 67 other jurisdictions, signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS ("Multilateral Instrument" or "MLI").
Luxembourg
5 Oct 2018
7
Multilateral Instrument: Bill Of Law
On 7 June 2017, Luxembourg together with 67 other jurisdictions, signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS ("Multilateral Instrument" or "MLI").
Luxembourg
25 Sep 2018
8
Bill Of Law No. 7333 On The Multilateral Instrument
On 7 June 2017, Luxembourg together with 67 other jurisdictions, signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS ("Multilateral Instrument" or "MLI").
Luxembourg
6 Aug 2018
9
Tax Treaty News – April 20, 2018
On 20 March 2018, a new double tax treaty together with an associated protocol ("New DTT") were signed by the French and Luxembourg governments.
Worldwide
27 Apr 2018
10
Tax Treaty News
Within the mutual agreement procedure provided for under Article 25(3) of the Luxembourg-Russia Double Tax Treaty, the tax authorities of both countries agreed on a uniform interpretation of Article 10 (2) of the treaty...
Russian Federation
22 Feb 2018
11
Tax Treaties News - November 2017
On 18 April 2017, the amending protocol signed by Luxembourg and Ukraine on 30 September 2016 on the Ukraine-Luxembourg double tax treaty entered into force.
Worldwide
4 Jan 2018
12
Soparfi : The Luxembourg Holding And Finance Company - Update December 2017
A Soparfi is a fully taxable ordinary commercial company, whose corporate purpose is limited to the holding of participations and related activities. A Soparfi has full treaty access...
Luxembourg
1 Dec 2017
13
Tax Treaties News
On 7 April 2017, the Luxembourg tax authorities published an update stating that the amending protocol and exchange of letters, signed on 21 June 2012, to the double tax treaty between Luxembourg and Italy...
European Union
24 Aug 2017
14
Tax Treaties News
On 1 March 2017, the amending exchange of notes, which was signed on 18 June 2015, relating to Article 24 on the exchange of information of the double tax treaty of 1962 between Luxembourg...
European Union
19 May 2017
15
Multilateral Convention: BEPS Implementation
The adoption on 24 November 2016 by more than 100 States, including Luxembourg of the multilateral convention to implement tax treaty related measures to prevent base erosion and profit shifting...
Luxembourg
11 May 2017
16
New Protocol To The Income Tax Treaty Between Luxembourg And Poland
Besides introducing an OECD-compliant full exchange of tax information procedure (still excluding "fishing expeditions"), the major changes to the Treaty concern the introduction of an anti-abuse/limitation on benefits provision which is new ground in Luxembourg tax treaty policy and the possibility for the situs state to tax the sale of shares in a "land-rich" entity (provided however that domestic tax law permits such taxation, which, depending on the structuring scenario, does not necessarily
Luxembourg
6 Dec 2012
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