The Netherlands

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

The Netherlands

Machiel Lambooij

null

 

Freshfields Bruckhaus Deringer

Strawinskylaan 10

1077 XZ Amsterdam

The Netherlands

Tel: +31 20 485 7608

Email: machiel.lambooij@freshfields.com

Website: www.freshfields.com

Machiel Lambooij heads Freshfields Bruckhaus Deringer's Netherlands tax practice. He specialises in international corporate taxation with specific expertise in the areas of M&A taxation, restructurings and insolvencies and group financing structures. He also has expertise in formal tax law aspects (including tax disputes, mutual agreement procedures, exchange of information and tax criminal law issues) and anti-money laundering issues in relation to taxation.

Machiel is a tax adviser and advocaat (member of the Amsterdam bar). He was General Reporter ('The tax consequences of cancellation of indebtedness (debt work-outs)' for the 2006 International Fiscal Association (IFA) Amsterdam congress and is a member of the Dutch IFA branch and the Dutch Association for Tax Science. He is a member of the Executive Committee of IFA. He has been executive board member of the Dutch Association of Tax Advisers (Nederlandse Orde van Belastingadviseurs – NOB) and has chaired its committee on tax legislation. He is a member of the NOB's Disciplinary Appeals Board.

Machiel is a graduate of Leiden University. He joined Freshfields Bruckhaus Deringer in October 1999 as a partner.

freshfields.jpg

Charles Langereis

null

 

Spigt Litigators

Apollolaan 151,

1077 AR Amsterdam

The Netherlands

Tel: +31 20 305 1600

Fax: +31 20 305 1699

Email: charles.langereis@spiglitigators.com

Website: www.spigtlitigators.com

 Charles Langereis is head of Spigt Litigators’s tax department in Amsterdam.

He specialises in reorganisations, joint ventures, and national and international tax litigation and is also active in the field of criminal tax law and voluntary disclosure.

He studied tax law at the University of Leiden and worked as an inspector with the Internal Revenue Services and with the Department of Finance. After receiving his doctorate from Tilburg in 1986 he was a partner at Stibbe and, subsequently, Freshfields. He was a professor of tax law at the University of Leiden from 1986 to 2007 and a deputy justice of the court of appeal in The Hague, between 1988 and 2005.

Charles is an arbitrator of the Netherlands Arbitration Institute and a co-founder of the Dutch Tax Lawyers Association. He has written numerous books and articles.

 


Peter Bolwerk

PwC Curaçao

Xandra M Kleine-van Dijk

Spigthoff Curaçao

Marten Mees

Loyens & Loeff

Martien Pelinck

Loyens & Loeff

Jeroen Starreveld

Spigthoff Curaçao

Pieter-Bas Van Agtmaal

Loyens & Loeff Curaçao

Alexander van der Voort Maarschalk

Houthoff Buruma

Monique van Herksen

Ernst & Young

more across site & shared bottom lb ros

More from across our site

Awards
ITR is delighted to reveal all the shortlisted nominees for the 2025 Americas Tax Awards
As we move into an era of ‘substance over form’, determining the fundamental nature of a particular instrument is key when evaluating the tax implications of selling hybrid securities
It stands in stark contrast to a mere 1% increase in firmwide revenue since last year
It follows a court case concerning a Freedom of Information request lodged by the founder of a software company
After years of deafening silence, the UK tax authority is taking overdue action against corporates that fail to prevent the facilitation of tax evasion
The US president has raised India’s tariff rate to 50% because of its importation of Russian oil; in other news, firms made key international tax partner hires
Tax auditors themselves had not been aware of the new TP ‘transaction matrix’ requirements, ITR hears as five German partners share their client experiences
Its features include a built-in AI assistant as well as expert insights and commentary from Deloitte specialists
AI is rapidly finding its way into tax advisory services. But how can AI be deployed responsibly, reliably, and in compliance with legal standards?
Specified taxpayers will have to apply a 19% VAT rate on services offered by third parties through their platforms; in other news, Donald Trump imposed 30% South African tariffs
Gift this article