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Searching Content indexed under Corporate Tax by De Brauw Blackstone Westbroek N.V. ordered by Published Date Descending.
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1
Trends I Netherlands Moves Away From Fiscal Offshore Industry
The Netherlands is slowly but surely steering away from facilitating the use of its corporate income tax system by companies that are set up merely to obtain tax benefits.
Netherlands
27 Feb 2017
2
Dutch Tax Plan 2017: What Will Change?
On 20 September 2016, the Dutch government presented the 2017 Tax Bill together with several other legislative proposals.
Netherlands
20 Oct 2016
3
Netherlands And Switzerland Agree On Tax Treatment Of Investment Vehicles
Two recent mutual agreements between the Netherlands and Switzerland will have significant implications for collective investment vehicles (CIVs).
Netherlands
15 Sep 2016
4
Apple To Repay Up To EUR 13 Billion In Illegal State Aid
On 30 August, 2016, the European Commission (EC) announced its decision that Ireland must recover up to EUR 13 billion plus interest from local Apple subsidiaries.
European Union
15 Sep 2016
5
EcoFin Council Adopts Anti-Tax Avoidance Directive (ATAD) Without Switch-Over Clause
The EU Ecofin Council reached unanimous agreement on 12 July 2016 on the Anti-Tax Avoidance Directive (ATAD).
European Union
20 Jul 2016
6
Netherlands Proposes Modifications To Interest Deductibility Provisions
The Dutch Ministry of Finance has launched a public consultation about the revision of certain statutory limitations on the deductibility of interest for Dutch corporate income tax purposes.
Netherlands
19 Jul 2016
7
Appeals Court Allows Dutch Subsidiaries Of Israeli Parent Company To Form Fiscal Unity
A Dutch court of appeal recently ruled that the Dutch fiscal unity regime is incompatible with the Netherlands/Israel double tax treaty.
Netherlands
21 Jun 2016
8
Netherlands Proposes Modified Innovation Box Tax Regime
The Dutch Ministry of Finance has launched a public consultation on the revision of the Dutch innovation box regime.
Netherlands
21 Jun 2016
9
European Commission Proposes Public Tax Reporting By Multinationals
As part of its fight against corporate tax planning by multinational enterprises (MNEs), the European Commission has issued yet another proposal for country-by-country reporting for all large EU and non-EU multinationals with activities in the EU.
Netherlands
18 May 2016
10
EU Shifts Gears On Fighting Corporate Tax Avoidance
The EU is about to take the next big step in its fight against corporate tax avoidance with the publication of the anti-BEPS (base erosion and profit shifting) proposals.
European Union
18 Feb 2016
11
New Conditions For Fiscal Investment Institutions
The Dutch State Secretary of Finance has issued an amended resolution on the Dutch tax treatment of fiscal investment institutions (FBIs).
Netherlands
18 Feb 2016
12
Conditions Relaxed For Dutch Master-Feeder LP And Mutual Investment Fund Structures
The Dutch State Secretary of Finance has issued amended decrees on the Dutch tax treatment of limited partnerships (LPs) and funds for joint account (FGRs).
Netherlands
17 Jan 2016
13
EU Combats International Tax Planning: The Amended Parent Subsidiary Directive
You have probably read about the OECD's comprehensive base erosion and profit shifting (or BEPS) action plan aimed at tackling undesirable international tax planning by corporates.
European Union
14 Dec 2015
14
Dutch Tax Bill Introduced To Expand Fiscal Unity Regime
This bill largely codifies a decree the State Secretary of Finance issued on 16 December 2014 expanding the fiscal unity regime in the Dutch Corporate Income Tax Act.
Netherlands
19 Nov 2015
15
Dutch Tax Bill 2016: What Will Change?
The Dutch government presented its Tax Bill 2016 on 15 September 2016. Three elements of this bill could specifically affect multinationals, international investors and investment funds with Dutch headquarters or group companies:
Netherlands
21 Oct 2015
16
Luxembourg Bill Implements Anti-Abuse And Anti-Hybrid Rules For EU Intra-Group Dividends
Luxembourg recently published a bill to implement the new anti-hybrid rule and the general anti-abuse rule (GAAR) of the EU Parent Subsidiary Directive (PSD).
Netherlands
14 Sep 2015
17
Commercial Reasons Required For Debt Financing, Even In Acquisitions
Recent case law illustrates the need for companies to carefully consider the risk of interest deductions being disallowed if they use a related party debt to fund an acquisition through a Dutch holding company.
Netherlands
8 Jul 2015
18
Treasury Department Announces Plans To Limit Tax-Driven Inversion Of US Companies
The US Treasury Department and the Internal Revenue Service recently announced their intention to issue regulations limiting certain tax-driven inversion transactions.
United States
17 Oct 2014
19
Use Of Dutch Single Tax Entity Extended By ECJ Ruling
Recently, the European Court of Justice held that the Dutch tax consolidation regime is partially in conflict with EU law.
Netherlands
17 Jul 2014
20
More Flexibility For Structuring Fiscal Investment Institutions
The Dutch Ministry of Finance issued a revised decree on 28 February 2014 which offers more flexibility for structuring FBIs.
Netherlands
17 Mar 2014
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