Netherlands rules on deductibility of interest by international groups
In the wake of a recent Supreme Court ruling, the reasonable taxation standard is clarified, and activities within the scope of the Irish IFSC regime are found to be
comparable to activities within the scope of the Dutch GFC regime. By Daan de Bruin and Judy Chan Deloitte & Touche, International Tax Group, Netherlands
To access our market-driven intelligence please request a trial here.
Read this article – and more – for a one-week period.