7 results 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. Bill of law on interest and royalties paid to non-cooperative jurisdictions The Luxembourg Government proposes to introduce the non-deductibility of interest and royalties expenses of a Luxembourg taxpayer towards collective entities located in a blacklisted jurisdiction. Luxembourg tax measures on non-cooperative jurisdictions: EU blacklist updated The European Union updates non-cooperative jurisdictions list, affecting bill of law nº 7547. From Jan 1, 2021, interest or royalties paid to related enterprises in listed countries won't be tax-deductible. Stibbe advises Constellium Stibbe advises Constellium N.V. on its offerings of ordinary shares and notes and on its cash tender offers of notes. Luxembourg tax authorities clarify the "CIV carve-out" under the reverse hybrid rules On 12 August 2025, the Luxembourg tax authorities issued Circular L.I.R. nº 168quater/2, clarifying the interpretation of the Collective Investment Vehicle carve-out from reverse hybrid rules under Art. 168quater(2) of the Luxembourg Income Tax Law. Stibbe assists AustralianSuper Stibbe assisted AustralianSuper with its investment of €1.5 billion to acquire a significant minority stake in Vantage Data Centers Europe, Middle East and Africa (Vantage EMEA). 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.
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.
Bill of law on interest and royalties paid to non-cooperative jurisdictions The Luxembourg Government proposes to introduce the non-deductibility of interest and royalties expenses of a Luxembourg taxpayer towards collective entities located in a blacklisted jurisdiction.
Luxembourg tax measures on non-cooperative jurisdictions: EU blacklist updated The European Union updates non-cooperative jurisdictions list, affecting bill of law nº 7547. From Jan 1, 2021, interest or royalties paid to related enterprises in listed countries won't be tax-deductible.
Stibbe advises Constellium Stibbe advises Constellium N.V. on its offerings of ordinary shares and notes and on its cash tender offers of notes.
Luxembourg tax authorities clarify the "CIV carve-out" under the reverse hybrid rules On 12 August 2025, the Luxembourg tax authorities issued Circular L.I.R. nº 168quater/2, clarifying the interpretation of the Collective Investment Vehicle carve-out from reverse hybrid rules under Art. 168quater(2) of the Luxembourg Income Tax Law.
Stibbe assists AustralianSuper Stibbe assisted AustralianSuper with its investment of €1.5 billion to acquire a significant minority stake in Vantage Data Centers Europe, Middle East and Africa (Vantage EMEA).
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.