483 results Dutch tax insights in debt restructuring cases We will highlight certain focus areas from a Dutch tax perspective in debt restructuring cases involving a Dutch debtor, also considering creditors holding or obtaining an equity stake – directly or indirectly - in the borrowing entity. Findings published from study into Dutch lucrative interest scheme – carried interest / sweet equity The Dutch Government published findings from a study performed into the Dutch lucrative interest scheme, which scheme generally applies to carried interest / sweet equity arrangements of managers of private equity funds and their portfolio companies. The Netherlands’ Budget Day 2025 On Tuesday 16 September 2025 (Prinsjesdag), the Dutch Ministry of Finance published the 2026 Tax Plan Package. This consists of the 2026 Tax Plan and Other Tax Measures for 2026, as well as certain additional measures. Recent developments regarding Foreign Subsidies Regulation, Pillar Two and redemption of interest rate swaps In this Tax Alert we briefly discuss three recent tax developments. Proposed amendments in the Dutch 2024 Tax Package related to ESG On Budget Day the Dutch Ministry of Finance published the 2024 Tax Package, including the 2024 Tax Plan. Certain proposals related to ESG that may be relevant to international businesses are addressed in this Tax Alert. BEFIT and TP Directive On 12 September 2023, the European Commission published a proposal for a Council Directive on Business in Europe: Framework for Income Taxation (BEFIT Directive). Private Investigation Act - Unpacking the Scope and Key Requirements This seminar, the first in our 2025 TMT seminar series, examines the new Belgian Private Investigation Act ("Wet tot regeling van de private opsporing" / "Loi réglementant la recherche privée"), which came into effect in December 2024. Antiabuse Rules: Changes for Holding Companies Investing in the Netherlands In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars examine two recent Dutch Supreme Court rulings providing more details about antiabuse tests for foreign holding companies that invest in the Netherlands. Carly Baas Junior Associate Amsterdam Stibbe wins both Belgium and Netherlands Tax Disputes Firm of the Year Awards at ITR Award Ceremony We are pleased to have been recognised as both Netherlands Tax Disputes Firm of the Year and Belgium Tax Disputes Firm of the Year at the annual International Tax Review Award Ceremony in London. Stibbe secures Tax Firm of the Year title We are pleased to have been recognized as both Netherlands Tax Firm of the Year and Belgium Tax Firm of the Year at the annual International Tax Review Award Ceremony in London. Happy first anniversary! One year of the Vifo Act: an update On the first of June, the Dutch national security investment screening regime (the Vifo Act) celebrated its first anniversary. Time to take stock of key findings and forthcoming developments. Recent Dutch Tax Developments in M&A Transactions In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars discuss recent Dutch tax developments that are relevant to mergers and acquisitions transactions with a Dutch component. Current developments in Dutch tax law This Tax Alert provides an update on three relevant tax development. Stibbe StartsUP welcomes Sumthing Stibbe is delighted to announce that Sumthing is the latest participant to join the Stibbe StartsUP programme. Stibbe ‘Netherlands Tax Firm of the Year 2021’ For the fifth time, Stibbe has been named ‘Netherlands Tax Firm of the Year’ by International Tax Review. Stibbe advised on the transformative restructuring of the Frigoglass Group Stibbe advised Frigoglass on the consensual recapitalisation and financial restructuring of Frigoglass S.A.I.C. and the group of companies formerly controlled by it (the “Frigoglass Group”). Stibbe advised Barça Produccions and Barcelona Football Club Stibbe is advising Barça Produccions and Barcelona Football Club alongside Spanish law firm Perez Llorca in relation to a business combination agreement with Mountain & Co. I Acquisition Corp. Pagination Previous page Page 24 Page 25 Current page 26 Page 27 Next page
Dutch tax insights in debt restructuring cases We will highlight certain focus areas from a Dutch tax perspective in debt restructuring cases involving a Dutch debtor, also considering creditors holding or obtaining an equity stake – directly or indirectly - in the borrowing entity.
Findings published from study into Dutch lucrative interest scheme – carried interest / sweet equity The Dutch Government published findings from a study performed into the Dutch lucrative interest scheme, which scheme generally applies to carried interest / sweet equity arrangements of managers of private equity funds and their portfolio companies.
The Netherlands’ Budget Day 2025 On Tuesday 16 September 2025 (Prinsjesdag), the Dutch Ministry of Finance published the 2026 Tax Plan Package. This consists of the 2026 Tax Plan and Other Tax Measures for 2026, as well as certain additional measures.
Recent developments regarding Foreign Subsidies Regulation, Pillar Two and redemption of interest rate swaps In this Tax Alert we briefly discuss three recent tax developments.
Proposed amendments in the Dutch 2024 Tax Package related to ESG On Budget Day the Dutch Ministry of Finance published the 2024 Tax Package, including the 2024 Tax Plan. Certain proposals related to ESG that may be relevant to international businesses are addressed in this Tax Alert.
BEFIT and TP Directive On 12 September 2023, the European Commission published a proposal for a Council Directive on Business in Europe: Framework for Income Taxation (BEFIT Directive).
Private Investigation Act - Unpacking the Scope and Key Requirements This seminar, the first in our 2025 TMT seminar series, examines the new Belgian Private Investigation Act ("Wet tot regeling van de private opsporing" / "Loi réglementant la recherche privée"), which came into effect in December 2024.
Antiabuse Rules: Changes for Holding Companies Investing in the Netherlands In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars examine two recent Dutch Supreme Court rulings providing more details about antiabuse tests for foreign holding companies that invest in the Netherlands.
Stibbe wins both Belgium and Netherlands Tax Disputes Firm of the Year Awards at ITR Award Ceremony We are pleased to have been recognised as both Netherlands Tax Disputes Firm of the Year and Belgium Tax Disputes Firm of the Year at the annual International Tax Review Award Ceremony in London.
Stibbe secures Tax Firm of the Year title We are pleased to have been recognized as both Netherlands Tax Firm of the Year and Belgium Tax Firm of the Year at the annual International Tax Review Award Ceremony in London.
Happy first anniversary! One year of the Vifo Act: an update On the first of June, the Dutch national security investment screening regime (the Vifo Act) celebrated its first anniversary. Time to take stock of key findings and forthcoming developments.
Recent Dutch Tax Developments in M&A Transactions In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars discuss recent Dutch tax developments that are relevant to mergers and acquisitions transactions with a Dutch component.
Current developments in Dutch tax law This Tax Alert provides an update on three relevant tax development.
Stibbe StartsUP welcomes Sumthing Stibbe is delighted to announce that Sumthing is the latest participant to join the Stibbe StartsUP programme.
Stibbe ‘Netherlands Tax Firm of the Year 2021’ For the fifth time, Stibbe has been named ‘Netherlands Tax Firm of the Year’ by International Tax Review.
Stibbe advised on the transformative restructuring of the Frigoglass Group Stibbe advised Frigoglass on the consensual recapitalisation and financial restructuring of Frigoglass S.A.I.C. and the group of companies formerly controlled by it (the “Frigoglass Group”).
Stibbe advised Barça Produccions and Barcelona Football Club Stibbe is advising Barça Produccions and Barcelona Football Club alongside Spanish law firm Perez Llorca in relation to a business combination agreement with Mountain & Co. I Acquisition Corp.