Netherlands Tax News
Protocol to treaty between Netherlands and Norway enters into force
Treaty between Russia and Netherlands – clarifications on income obtained by Dutch parent company due to reduction of its shareholding in Russian subsidiary
Supreme Court: Finnish CIV not entitled to refund of dividend withholding tax
Bill on other fiscal measures presented to parliament
Netherlands government council agrees to combat international tax avoidance
Draft legislation on compartmentalization – submitted
Bill on other fiscal measures – measures on international anti-avoidance proposed
Draft Bill amending Tax Plan 2014 published
Amended Budget for 2014 presented
Circular on dividend withholding tax refund following Tate & Lyle Investments case – published
Protocol to treaty between Belgium and Netherlands enters into force
District Court Gelderland decides that brokerage fees are not deductible
Temporary accelerated depreciation introduced – further details
Protocol to treaty between Czech Republic and Netherlands enters into force
Protocol to treaty between Netherlands and United Kingdom – signed and details
Dutch Supreme Court: AG opines on refund of excessive dividend withholding tax withheld on dividends paid to Belgian resident
Compartmentalization of income to be codified
Netherlands selective tax exemption for public companies partially carrying out economic activities terminated
Protocol to treaty between Netherlands and Norway – details
Treaty between Netherlands and China (People's Rep.) – signed and details
Supreme Court decides that amount of released dividend withholding tax liability must be added to the taxable profits for corporate income tax purposes
Updated annex to Decree on classification of foreign entities published
Withholding tax under EU Savings Directive to be abolished
Protocol to treaty between Netherlands and Norway signed
Multilateral action between United Kingdom, France, Germany, Italy and Spain to counter tax evasion
Decree on non-deductible interest published
Finnish Supreme Administrative Court rules on imputation credit for dividends received from a group's parent company in UK
Supreme Court: alienation costs for the sale of a substantial shareholding are not deductible
1970 Treaty between Netherlands and Belgium – Dutch Supreme Court decides on taxing rights with respect to a devaluated debt-claim
Heavy restrictions on capital movements enter into force
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