This is an online course presented on the videoconference platform Zoom.
The international tax playing field is rapidly changing. Step by step the BEPS-discussion has become bigger and more serious as well as the consequences for the Dutch investing climate. What is still possible and what is no longer possible (now or in the future)? Moreover: which alternative structures are possible to keep the Dutch and European investment climate attractive as country of residence? What is the status of the proposals by the European Commission? What impact do the state aid procedures have in the international tax practice? In this 2 hour live webinar, Arthur Hofman will discuss and provide answers to these matters in English.
- Withholding taxes on interest and royalty payments from 2021
- Points to consider regarding ATAD 1 and ATAD II
- Foreign substantial interest (17 lid 3 onderdeel b)
- Developments in participation exemption and liquidation loss scheme (new decision of 9 March 2020, developments in case law, announced legislation).
Tuesday april 16th 2020
13:00 – 15:00
Online videoconference in Zoom