550 results Stibbe advises Goldman Sachs Asset Management Stibbe advises Goldman Sachs Asset Management on the sale of its portfolio company Caldic to Advent International. The New Dutch Conditional Withholding Tax And Hybrid Entities Charlotte Tolman and Michael Molenaars explain the Netherlands’ conditional withholding tax regime, which applies to interest and royalty payments to low-tax jurisdictions and aims to curtail profit shifting, and its implications for hybrid entities. Stibbe advises Schroders Capital Stibbe advises Schroders Capital on the acquisition of Dutch real estate investment specialist Cairn Real Estate. The Dutch Scheme – tax aspects On 1 January 2021, the Act on confirmation of private restructuring plans (Wet homologatie onderhands akkoord, also known as the “WHOA”, hereinafter: the “Dutch Scheme”) came into effect. Combating Non-Arm’s-Length Transfer Pricing in the Netherlands Charlotte Tolman and Michael Molenaars will contribute periodically to Tax Notes International magazine. Stibbe advises Mubadala Capital Stibbe Luxembourg advised on a $1.8 billion financing by Mubadala Capital for a Brazilian refinery. Over het delen van in te nemen standpunten en zienswijzen met de Belastingdienst Reinout de Boer, Rogier van der Struijk en Mieke Lavreysen schreven over communicatie met de Belastingdienst en de eventuele gevolgen daarvan in het Weekblad fiscaal recht. Tackling Reverse-Hybrid and Entity Classification Mismatches In the Netherlands This article, published in Tax Notes International, examines two recent Dutch proposals, which could have an immediate impact on Dutch and non-Dutch corporate taxpayers and existing national or international structures. Tax Controversy: Update July 2021 This Alert addresses certain recent developments concerning procedural tax law in the Netherlands. We will discuss some interesting developments with regard to the (revised) Dutch tax ruling practice as per 1 July 2019 and the Tax Ruling Annual Report. Stibbe advises Novy Stibbe assisted the shareholders of Novy with the sale of their shares to the American group Middleby. Stibbe Tax Webinar on Dutch classification rules – update on Dutch FGR’s On 1 July 2021, the Dutch state secretary of Finance issued a letter in which he indicated that the proposed amendments to the Dutch fund for joint account will no longer be part of the legislative proposal on the Dutch classification rules. Stibbe advised consortium ZuidPlus (Fluor, Heijmans and Hochtief) Stibbe advised consortium ZuidPlus (Fluor, Heijmans and Hochtief) in connection with the Zuidasdok project in Amsterdam. The response of the Dutch government to the G7 Tax initiative On 14 June 2021 the Dutch State Secretary of Finance sent a letter to the Dutch Parliament setting out his view on (i) the political agreement reached by the G7 countries on global tax reform and (ii) the next meeting of the OECD/G20 Inclusive Framework. Stibbe contributes to Chambers Tax Controversy 2021 Stibbe’s Tax team contributed to the Dutch chapter of the Chambers and Partners Tax Controversy 2021. Stibbe Tax webinar on Hybrid Entities During our tax webinar on 15 April we discussed certain tax aspects of so-called hybrid entities. Jaarverslag 2020 Dienst Voorafgaande Beslissingen in Fiscale Zaken Het Jaarverslag 2020 van de Dienst Voorafgaande Beslissingen in Fiscale Zaken is gepubliceerd. Ons team fiscaal recht vat in deze short read enkele belangrijke elementen uit het verslag voor u samen. Stibbe advises Insight Venture Partners Stibbe advises New York private equity house Insight Venture Partners on the sale of its equity stake in Harver to Outmatch / Rubicon Technology Partners. US co-counsel: Willkie, Farr & Gallagher. Public consultation on proposed amendment of Dutch classification rules for certain domestic and foreign legal entities On 29 March 2021 the Dutch government has released a consultation document (the “Consultation Document”) containing a draft bill of law and explanatory memorandum to amend the Dutch classification rules for certain domestic and foreign legal entities. Pagination Previous page Page 4 Current page 5 Page 6 Page 7 Next page
Stibbe advises Goldman Sachs Asset Management Stibbe advises Goldman Sachs Asset Management on the sale of its portfolio company Caldic to Advent International.
The New Dutch Conditional Withholding Tax And Hybrid Entities Charlotte Tolman and Michael Molenaars explain the Netherlands’ conditional withholding tax regime, which applies to interest and royalty payments to low-tax jurisdictions and aims to curtail profit shifting, and its implications for hybrid entities.
Stibbe advises Schroders Capital Stibbe advises Schroders Capital on the acquisition of Dutch real estate investment specialist Cairn Real Estate.
The Dutch Scheme – tax aspects On 1 January 2021, the Act on confirmation of private restructuring plans (Wet homologatie onderhands akkoord, also known as the “WHOA”, hereinafter: the “Dutch Scheme”) came into effect.
Combating Non-Arm’s-Length Transfer Pricing in the Netherlands Charlotte Tolman and Michael Molenaars will contribute periodically to Tax Notes International magazine.
Stibbe advises Mubadala Capital Stibbe Luxembourg advised on a $1.8 billion financing by Mubadala Capital for a Brazilian refinery.
Over het delen van in te nemen standpunten en zienswijzen met de Belastingdienst Reinout de Boer, Rogier van der Struijk en Mieke Lavreysen schreven over communicatie met de Belastingdienst en de eventuele gevolgen daarvan in het Weekblad fiscaal recht.
Tackling Reverse-Hybrid and Entity Classification Mismatches In the Netherlands This article, published in Tax Notes International, examines two recent Dutch proposals, which could have an immediate impact on Dutch and non-Dutch corporate taxpayers and existing national or international structures.
Tax Controversy: Update July 2021 This Alert addresses certain recent developments concerning procedural tax law in the Netherlands. We will discuss some interesting developments with regard to the (revised) Dutch tax ruling practice as per 1 July 2019 and the Tax Ruling Annual Report.
Stibbe advises Novy Stibbe assisted the shareholders of Novy with the sale of their shares to the American group Middleby.
Stibbe Tax Webinar on Dutch classification rules – update on Dutch FGR’s On 1 July 2021, the Dutch state secretary of Finance issued a letter in which he indicated that the proposed amendments to the Dutch fund for joint account will no longer be part of the legislative proposal on the Dutch classification rules.
Stibbe advised consortium ZuidPlus (Fluor, Heijmans and Hochtief) Stibbe advised consortium ZuidPlus (Fluor, Heijmans and Hochtief) in connection with the Zuidasdok project in Amsterdam.
The response of the Dutch government to the G7 Tax initiative On 14 June 2021 the Dutch State Secretary of Finance sent a letter to the Dutch Parliament setting out his view on (i) the political agreement reached by the G7 countries on global tax reform and (ii) the next meeting of the OECD/G20 Inclusive Framework.
Stibbe contributes to Chambers Tax Controversy 2021 Stibbe’s Tax team contributed to the Dutch chapter of the Chambers and Partners Tax Controversy 2021.
Stibbe Tax webinar on Hybrid Entities During our tax webinar on 15 April we discussed certain tax aspects of so-called hybrid entities.
Jaarverslag 2020 Dienst Voorafgaande Beslissingen in Fiscale Zaken Het Jaarverslag 2020 van de Dienst Voorafgaande Beslissingen in Fiscale Zaken is gepubliceerd. Ons team fiscaal recht vat in deze short read enkele belangrijke elementen uit het verslag voor u samen.
Stibbe advises Insight Venture Partners Stibbe advises New York private equity house Insight Venture Partners on the sale of its equity stake in Harver to Outmatch / Rubicon Technology Partners. US co-counsel: Willkie, Farr & Gallagher.
Public consultation on proposed amendment of Dutch classification rules for certain domestic and foreign legal entities On 29 March 2021 the Dutch government has released a consultation document (the “Consultation Document”) containing a draft bill of law and explanatory memorandum to amend the Dutch classification rules for certain domestic and foreign legal entities.