DAC7 adds reporting obligations for EU digital platform operators Daan Arends, Wouter Kolkman and Jesse Peeters of DLA Piper Netherlands consider the impact of the latest EU directive on administrative cooperation in the field of taxation (DAC7), and explain... By Daan Arends & Wouter Kolkman & Jesse Peeters May 24 2022
Netherlands: 2022 Dutch Tax Plan – few policies proposed Rhys Bane and Jian-Cheng Ku of DLA Piper Netherlands provide an update on the 2022 Dutch Tax Plan. By Jian-Cheng Ku & Rhys Bane December 15 2021
Netherlands Budget Day 2022: Impact of tax proposals on multinational enterprises Jian-Cheng Ku and Tim Mulder of DLA Piper discuss the most relevant tax proposals announced in the Netherlands 2022 budget that are relevant for multinational enterprises with activities in the... By Jian-Cheng Ku & Tim Mulder October 22 2021
Netherlands: Concludes abuse of law and denies interest expenses in PE fund Gabriël van Gelder and Xander Stubenrouch of DLA Piper Netherlands discuss the final judgment by the Dutch Supreme Court on the financing structure of a private equity fund. By Gabriël van Gelder & Xander Stubenrouch July 29 2021
Netherlands: A Dutch perspective on sustainable energy subsidies and energy taxes Sebastiaan Wijsman and Jesse Peeters of DLA Piper discuss sustainable energy subsidies and consider the energy tax implications of the various investing structures of solar panels. By Sebastiaan Wijsman & Jesse Peeters July 01 2021
Proposed employee stock option rules for the Netherlands Jian-Cheng Ku and Ilse Lagerweij of DLA Piper Netherlands discuss the proposed rules that amend the wage tax treatment of employee stock options. By Jian-Cheng Ku & Ilse Lagerweij June 18 2021
Changes ahead for Netherlands legal entity qualification policy Jian-Cheng Ku and Rhys Bane of DLA Piper discuss the impact of potential changes to the legal entity qualification policy that has a proposed effective date of January 1 2022. By Jian-Cheng Ku & Rhys Bane May 18 2021
Acquisition of sole legal title of shares in a real property entity subject to Dutch RETT Daan Arends and Sebastiaan Wijsman of DLA Piper Netherlands analyse a Dutch Supreme Court ruling, particularly relevant for funds without legal personality. By Daan Arends & Sebastiaan Wijsman April 30 2021
Netherlands: Proposals on TP adjustments and taxation of reverse hybrid entities Jian-Cheng Ku and Tim Mulder of DLA Piper explore the Dutch legislative proposals to eliminate double non-taxation through transfer pricing and taxation of reverse hybrid entities. By Jian-Cheng Ku & Tim Mulder March 18 2021
A closer look at Netherlands’ 2020 Memorandum on Tax Treaty Policy Roderik Bouwman and Ilse Lagerweij of DLA Piper discuss the 2020 Memorandum on Tax Treaty Policy looking more specifically at changes that have been introduced since 2011 including the minimum... By Roderik Bouwman & Ilse Lagerweij March 03 2021