Jian-Cheng Ku, Roland Kleimann, and Jurriaan van Bladel of DLA Piper Netherlands analyse recent case law on key financing functions as an exception to a Dutch interest deduction limitation
Jian-Cheng Ku, Xander Stubenrouch, and Isa Weijman of DLA Piper Netherlands explain a recent ruling by the Amsterdam Court of Appeal regarding dividend stripping, and its broader meaning in an evolving tax landscape
The interest deduction rules in relation to Dutch real estate companies are set to change. Jian-Cheng Ku and Thijs Haverbeke of DLA Piper Netherlands discuss the update and provide ideas for mitigating any adverse effects
Jian-Cheng Ku, Roland Kleimann, and Nick Schmidt of DLA Piper Netherlands explain how the Court of Justice of the European Union recently addressed whether a Dutch tax provision contravenes the freedom of establishment principle
Jian-Cheng Ku and Roland Kleimann of DLA Piper Netherlands analyse how corporate reorganisations involving Dutch entities are impacted by the ‘excessive severance payment levy’
Jian Cheng Ku and Roland Kleimann of DLA Piper Netherlands analyse how financing structures involving Dutch borrowers have changed since the introduction of a ‘blacklist’ of low-tax jurisdictions