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Participation exemption regimes could cost WHT reliefs under EU Parent-Subsidiary Directive and DTAAs_662975c2e471b
Digital Services Tax Emerging in Africa_6632a9abb6a41
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Cash pooling during and in the aftermath of the Covid-19 pandemic_662975c7335f9
Cash pooling arrangements:  a reflection on selected court cases_662975caf0820
Dutch (Corporate Income) Tax Plan 2021_662975cec07ec
Existing benchmark studies are based on past data that do not capture new COVID-19 market conditions_6632a9af98940
Effective WHT rate on dividends reduced to 5% under India-Netherlands DTAA after India abolishes DDT_662975d287b81
Brazilian Court rules on interpretation of substantial economic activity of Dutch holding companies for application of thin-capitalization rules_662975d65c8e1
G20 Inclusive Framework on BEPS endorsed the Two-Pillar Approach on the Digitalisation of the Economy_6632a9b372d77
Interrelating treaties lower the WHT on Dividends between South Africa and the Netherlands_662975da1fd58
The Multilateral Instrument – EU overview_6632aa35b3b41
CJEU Danish cases on beneficial ownership and treaty abuse_6632aa399f085
Tax challenges arising from the digital economy_6632aa3dc1810
Dutch government shares its view on CJEU Danish cases_6632a9b75c22e
Google Ireland not taxable in France via its French subsidiary_662975de3efa6
EU revises list of non-cooperative jurisdictions_6632a9bb7b569

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