551 results Een inbreuk op de AVG geeft niet zonder meer recht op schadevergoeding: Europese ontwikkelingen De Algemene Verordening Gegevensbescherming (de “AVG”) is één van de meest ingrijpende ontwikkelingen binnen de Europese datastrategie van de afgelopen jaren en nog steeds volop in ontwikkeling. 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). 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. 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. Stibbe advises creditors of the Keter Group on its debt extension transaction Stibbe has advised a group of senior lenders to the Keter Group on the successful completion of a transaction that includes maturity extensions of the Group’s senior and holdco PIK facilities. To what extent does the WAMCA procedure allow for collective actions for damages due to breaches of the GDPR? Whether it is possible to claim collective damages for an alleged breach of the GDPR by means of WAMCA proceedings has been a recent question within the mass damages practice. What information on this topic can be found in legislation, case law and litera Pagination Previous page Page 28 Current page 29 Page 30 Page 31 Next page
Een inbreuk op de AVG geeft niet zonder meer recht op schadevergoeding: Europese ontwikkelingen De Algemene Verordening Gegevensbescherming (de “AVG”) is één van de meest ingrijpende ontwikkelingen binnen de Europese datastrategie van de afgelopen jaren en nog steeds volop in ontwikkeling.
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).
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.
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.
Stibbe advises creditors of the Keter Group on its debt extension transaction Stibbe has advised a group of senior lenders to the Keter Group on the successful completion of a transaction that includes maturity extensions of the Group’s senior and holdco PIK facilities.
To what extent does the WAMCA procedure allow for collective actions for damages due to breaches of the GDPR? Whether it is possible to claim collective damages for an alleged breach of the GDPR by means of WAMCA proceedings has been a recent question within the mass damages practice. What information on this topic can be found in legislation, case law and litera