The Multilateral Instrument – EU overview
As from January 1st, 2020, 21 tax agreements will be modified as a result of the MLI. Almost half of that amount will be within the EU. The larger proportion however, 34 tax agreements that fall under the scope of the MLI, are going to be modified in the upcoming years, as soon as the […]
CJEU Danish cases on beneficial ownership and treaty abuse
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Tax challenges arising from the digital economy
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The latest global tax trends in the Netherlands
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The Netherlands´ preferential IP regime for software companies
The article also contains a section that discusses the new exit taxation rules of ATAD1, and its connection with the Netherlands preferential IP regime.
Impact of the Zinc case on transfer pricing
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The latest transfer pricing trends in the Netherlands
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