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  • Besides the well known features of the long standing Belgian holding regime, Belgian holding companies can also benefit from some of the more recent, attractive attributes of the Belgian tax system, explain Paul Op de Beeck and Luc van Walleghem of KPMG
  • Srinivasa Rao and Rajendra Nayak of Ernst & Young comment on the appeal of India as a holding company jurisdiction and what the court said in the E-Trade case.
  • Taxpayers will be heartened by the decision of the French Supreme Tax Court in the Zimmer case on the existence of a permanent establishment. Renaud Jouffroy and Marie-Laure Hublot of Landwell et Associes examine the verdict, pointing out that it left some questions unanswered

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