63 results Key markers on the Dutch Tax roadmap for 2023 In the latest installment of Tax Notes International, Charlotte Tolman and Michael Molenaars discuss major Dutch tax plans and developments expected for 2023 and how they may affect international business. The Corporate Tax 2023 guide Michael Molenaars, Jeroen Smits, Reinout de Boer and Rogier van der Struijk contributed to The Corporate Tax 2023 guide in a chapter about the Netherlands. Corporate Tax Laws and Regulations 2023 Stibbe’s Tax team has contributed to the Dutch chapter of the Global Legal Insights Corporate Tax Laws and Regulations 2023. Tax Controversy Netherlands: Update March 2024 This Tax Alert addresses certain recent developments concerning procedural tax law in the Netherlands. Stibbe assists AUNA S.A. Stibbe assisted AUNA S.A. in identifying and addressing all Luxembourg legal aspects linked to its $360 million U.S. initial public offering of 30,000,000 Class A ordinary shares. Netherlands Chapter in Chambers: Tax Controversy 2024 Reinout de Boer, Michael Molenaars, Rogier van der Struijk and Linde Respen contributed to Chambers: Tax Controversy 2024 in a chapter about Law and Practice in the Netherlands. Netherlands Chapter in Chambers: Corporate Tax 2024 Michael Molenaars, Jeroen Smits, Reinout de Boer and Rogier van der Struijk contributed to Chambers: Corporate Tax 2024 in a chapter about Law and Practice in the Netherlands. Luxembourg Draft Law proposes welcome tax clarifications and new provisions On 23 May 2024, the Luxembourg Minister of Finance presented a new draft law to Parliament, packed with notable tax provisions. International Mobility – Dutch Tax and Social Security Considerations Johan Vrolijk and Lotte Hover-Boon conducted a webinar for Chambers and Partners, addressing certain Dutch tax and social security considerations related to international mobility. Update on Dutch entity classification and anti-base-erosion rules In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars provide a detailed analysis of recent tax developments in Dutch regulations concerning entity classification and anti-base-erosion rules. Global Legal Insights - Corporate Tax 2024 guide is now available The Global Legal Insights - Corporate Tax 2024 guide is now available. Michael Molenaars, Reinout de Boer, Maurits van Dijk and Ashley Peeters are its contributing authors. Tips for Navigating the 2024 Dutch Tax Roadmap In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars explain the key markers of the 2024 Dutch Tax Package and provide an overview of the tax developments expected in 2024/2025 and how these may affect international businesses. Debt or Equity? That Is Still a Dutch Tax Question In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars examine a recent tax ruling of the Dutch Supreme Court regarding the qualifications of instruments as debt or equity for Dutch tax purposes. Aandachtspunten Wet bronbelasting 2021 Stephanie Kleefstra, Linde Respen en Maarten de Bruin bespreken hoe de Wet bronbelasting 2021 een rol kan spelen bij schuldherstructureringen. Netherlands Chapter in Chambers Corporate Tax 2025 Michael Molenaars, Jeroen Smits, Reinout de Boer and Rogier van der Struijk contributed to the Chambers Corporate Tax 2025 – Global Practice Guides. Introduction of dividend withholding tax in relation to low tax jurisdictions as per 2024 and update Dutch double tax treaty policy This Tax Alert will address two Dutch international tax policy proposals as included in letters that the Dutch State Secretary of Finance recently sent to the Dutch parliament on 29 May 2020. We note that the proposals are still subject to parliamentary d Perpetual securities not considered equity for Dutch corporate income tax purposes In a decision of Friday 15 May 2020, the Dutch Supreme Court confirmed that fixed-to-floating rate perpetual equity securities (“perpetual securities”) should not be considered a “participation loan” (deelnemerschapslening) for Dutch tax purposes. Under D Additional Dutch tax measures to provide relief for economic impact corona crisis Further to the measures already announced on 12 March 2020, the Dutch government earlier this week announced additional extraordinary measures (both tax and non-tax related) to mitigate the economic impact of the corona crisis. Below we will summarize som Pagination Current page 1 Page 2 Page 3 Page 4 Next page
Key markers on the Dutch Tax roadmap for 2023 In the latest installment of Tax Notes International, Charlotte Tolman and Michael Molenaars discuss major Dutch tax plans and developments expected for 2023 and how they may affect international business.
The Corporate Tax 2023 guide Michael Molenaars, Jeroen Smits, Reinout de Boer and Rogier van der Struijk contributed to The Corporate Tax 2023 guide in a chapter about the Netherlands.
Corporate Tax Laws and Regulations 2023 Stibbe’s Tax team has contributed to the Dutch chapter of the Global Legal Insights Corporate Tax Laws and Regulations 2023.
Tax Controversy Netherlands: Update March 2024 This Tax Alert addresses certain recent developments concerning procedural tax law in the Netherlands.
Stibbe assists AUNA S.A. Stibbe assisted AUNA S.A. in identifying and addressing all Luxembourg legal aspects linked to its $360 million U.S. initial public offering of 30,000,000 Class A ordinary shares.
Netherlands Chapter in Chambers: Tax Controversy 2024 Reinout de Boer, Michael Molenaars, Rogier van der Struijk and Linde Respen contributed to Chambers: Tax Controversy 2024 in a chapter about Law and Practice in the Netherlands.
Netherlands Chapter in Chambers: Corporate Tax 2024 Michael Molenaars, Jeroen Smits, Reinout de Boer and Rogier van der Struijk contributed to Chambers: Corporate Tax 2024 in a chapter about Law and Practice in the Netherlands.
Luxembourg Draft Law proposes welcome tax clarifications and new provisions On 23 May 2024, the Luxembourg Minister of Finance presented a new draft law to Parliament, packed with notable tax provisions.
International Mobility – Dutch Tax and Social Security Considerations Johan Vrolijk and Lotte Hover-Boon conducted a webinar for Chambers and Partners, addressing certain Dutch tax and social security considerations related to international mobility.
Update on Dutch entity classification and anti-base-erosion rules In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars provide a detailed analysis of recent tax developments in Dutch regulations concerning entity classification and anti-base-erosion rules.
Global Legal Insights - Corporate Tax 2024 guide is now available The Global Legal Insights - Corporate Tax 2024 guide is now available. Michael Molenaars, Reinout de Boer, Maurits van Dijk and Ashley Peeters are its contributing authors.
Tips for Navigating the 2024 Dutch Tax Roadmap In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars explain the key markers of the 2024 Dutch Tax Package and provide an overview of the tax developments expected in 2024/2025 and how these may affect international businesses.
Debt or Equity? That Is Still a Dutch Tax Question In this issue of Tax Notes International, Ashley Peeters and Michael Molenaars examine a recent tax ruling of the Dutch Supreme Court regarding the qualifications of instruments as debt or equity for Dutch tax purposes.
Aandachtspunten Wet bronbelasting 2021 Stephanie Kleefstra, Linde Respen en Maarten de Bruin bespreken hoe de Wet bronbelasting 2021 een rol kan spelen bij schuldherstructureringen.
Netherlands Chapter in Chambers Corporate Tax 2025 Michael Molenaars, Jeroen Smits, Reinout de Boer and Rogier van der Struijk contributed to the Chambers Corporate Tax 2025 – Global Practice Guides.
Introduction of dividend withholding tax in relation to low tax jurisdictions as per 2024 and update Dutch double tax treaty policy This Tax Alert will address two Dutch international tax policy proposals as included in letters that the Dutch State Secretary of Finance recently sent to the Dutch parliament on 29 May 2020. We note that the proposals are still subject to parliamentary d
Perpetual securities not considered equity for Dutch corporate income tax purposes In a decision of Friday 15 May 2020, the Dutch Supreme Court confirmed that fixed-to-floating rate perpetual equity securities (“perpetual securities”) should not be considered a “participation loan” (deelnemerschapslening) for Dutch tax purposes. Under D
Additional Dutch tax measures to provide relief for economic impact corona crisis Further to the measures already announced on 12 March 2020, the Dutch government earlier this week announced additional extraordinary measures (both tax and non-tax related) to mitigate the economic impact of the corona crisis. Below we will summarize som