Reinout de Boer

I am Reinout de Boer Tax specialist

Reinout de Boer

Reinout specialises in domestic and international taxation with particular emphasis on mergers and acquisitions, private equity transactions and corporate reorganisations.

Furthermore, he has experience with tax controversy work, including litigation and second opinions, and heads Stibbe’s tax controversy practice.

Reinout is a member of the advisory committee for taxation of the Dutch Bar Association. He also publishes and lectures regularly on international and EU tax law and tax controversy topics.

Prior to joining Stibbe, Reinout worked for over six years as tax policy advisor at the Dutch Ministry of Finance and as tax attaché at the Dutch Permanent Representation to the European Union in Brussels.

  • Languages: Dutch, English
  • Admitted to the Amsterdam Bar: 2006

Experience

Related news

27.11.2018 NL law
Tax Alert: State Secretary of Finance announces main features of the revised Dutch tax ruling practice

Short Reads - In his letter of 22 November 2018 (the “Letter”), the Dutch State Secretary of Finance outlines the revised Dutch ruling practice for tax rulings with an international character (“international tax rulings”), aimed to become effective as from 1 July 2019.

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16.11.2018 NL law
Tax Alert: Adoption 2019 Tax Plan and ATAD 1 proposal by the Dutch Lower House of Parliament

Short Reads - Further to the several tax proposals released by the Dutch government on Budget Day last September (the 'Proposals' –  see also our Tax Alerts of 20 September 2018 and 16 October 2018), on 15 November 2018 the Lower House of Parliament has adopted the 2019 Tax Plan and the proposed implementation of the Anti-tax Avoidance Directive ('ATAD 1') per 1 January 2019. In this Tax Alert we will provide you with a short update in respect of the Proposals.

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03.07.2018 NL law
Abolishment of tax deductibility of coupon payments on AT-1 capital instruments announced per 1 January 2019

Short Reads - On Friday 29 June 2018, the Dutch government made public its intention to abolish article 29a Dutch corporate income tax act ('DCITA'), per 1 January 2019. As a result of the abolishment of this provision, coupon payments on so-called additional-tier 1 ('AT-1') capital instruments made by banks and insurance companies will no longer be tax deductible. The amendment of the DCITA, which is aimed to be included in the tax package for 2019, will apply to coupon payments made after 1 January 2019, irrespective whether it concerns new or already existing AT-1 instruments.  

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16.10.2018 NL law
Tax Alert: No abolition of Dutch dividend withholding tax

Short Reads - Further to the several tax proposals released by the Dutch government on Budget Day last month (see our Tax Alert of 20 September 2018), on 15 October the Dutch State Secretary of Finance sent a letter to the Dutch parliament containing a reconsideration of certain tax law proposals (the 'Letter').

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