A look at the proposed loss relief rules in the Netherlands Jian-Cheng Ku and Ilse Lagerweij of DLA Piper Netherlands assess the changes to the 2021 tax budget rules concerning the deductibility of losses. By Ilse Lagerweij & Jian-Cheng Ku November 12 2020
Netherlands: Proposed Dutch conditional exit tax: EU-proof or not? Jian-Cheng Ku and Tim Mulder of DLA Piper consider the practical implications of introducing a conditional exit tax to the dividend tax act in the Netherlands. By Jian-Cheng Ku & Tim Mulder September 28 2020
Transforming debt restructuring in the Netherlands Jian-Cheng Ku, Jean Paul Dresen and Mehdi el Manouzi of DLA Piper take a deeper look the implications of the WHOA, a new restructuring tool adopted in the Netherlands. By Jean Paul Dresen & Jian-Cheng Ku & Mehdi el Manouzi September 02 2020
Dutch tax case provides developments on private equity fund structuring Roderik Bouwman and Gabriël van Gelder of DLA Piper Netherlands take a closer look at a recent judgment by the Dutch Supreme Court on the laws surrounding the structuring of private equity funds. By Gabriël van Gelder & Roderik Bouwman May 28 2020
Netherlands: The documentation requirements of ATAD II in the Netherlands explained Jian-Cheng Ku and Rhys Bane of DLA Piper explain how the Netherlands have approached the documentation requirement introduced by the implementation of ATAD II By Jian-Cheng Ku & Rhys Bane April 16 2020
Netherlands: Guidance on MLI tie breaker rule to determine tax residency Roderik Bouwman and Tim Mulder of DLA Piper Netherlands explain the Dutch implementation of the Multilateral Instrument and how this is being used to deal with existing dual residency situations. By Roderik Bouwman & Tim Mulder April 06 2020
Netherlands: Analysing important tax developments in the Netherlands Roderik Bouwman & Gabriël van Gelder of DLA Piper assess recent developments in Dutch tax law, including the legislative proposal concerning ATAD 2, a letter from the state secretary of finance on recent ECJ judgments... By Gabriël van Gelder August 29 2019
Netherlands grows as preferred holding jurisdiction for hosting Indian investments In recent years both Mauritius and Singapore, and to a limited extent also Cyprus, were the leading jurisdictions for hosting investments into India, but the Netherlands is becoming a good alternative option. By ITR Correspondent July 04 2017
Irish tax law and practice: Interaction with state aid rules The launch of an in-depth investigation by Joaquín Almunia, EU Competition Commissioner, into tax authority decisions relating to transfer pricing arrangements in Ireland, the Netherlands and Luxembourg brings a new d... By ITR Correspondent June 18 2014