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Position Papers Dutch Tax Authorities
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Fair value or impairment accounting
Details
Published: 28 February 2022
Carrying Value
Details
Published: 27 February 2022
Designated filing entity
Details
Published: 24 February 2022
Initial phase of a group’s international activity
Details
Published: 23 February 2022
Tax attributes
Details
Published: 23 February 2022
Transition year
Details
Published: 23 February 2022
Article 51 – Assessment of equivalence
Details
Published: 21 February 2022
Article 52 – Exercise of the delegation
Details
Published: 21 February 2022
Qualifying competent authority agreement
Details
Published: 21 February 2022
Designated local entity
Details
Published: 21 February 2022
Article 40 - Election to treat an investment entity as a tax transparent entity
Details
Published: 20 February 2022
Article 37, Paragraph 2
Details
Published: 20 February 2022
Article 17, Paragraph 2
Details
Published: 18 February 2022
Article 17, Paragraph 1
Details
Published: 18 February 2022
Qualified undertaxed payment rule
Details
Published: 18 February 2022
Article 13 – Computation and allocation of the UTPR top-up tax amount
Details
Published: 18 February 2022
Low-tax jurisdiction
Details
Published: 18 February 2022
Qualified domestic top-up tax
Details
Published: 16 February 2022
Partially-owned parent entity
Details
Published: 16 February 2022
Intermediate parent entity
Ultimate parent entity
Qualified Income Inclusion Rule
Minority-owned constituent entity, minority-owned parent entity, minority-owned subgroup & minority-owned subsidiary
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INTERESTING ARTICLES
The OECD released a report titled: “Revised BEPS Action 5 Transparency Framework on Tax Rulings”
The Dutch cabinet is looking into additional measures to tackle dividend stripping
The Canadian Government rescinds its digital services tax
G7 statement on global minimum taxes / Pillar 2
The Court of Appeal of The Hague ruled in 3 similar cases on the relevance of the outcome of a Mutual Agreement Procedure for earlier years
The opinion of the Advocate General in Case C‑321/24, Attal and Associés (Free movement of capital – Declaration of succession – Calculation of notary’s remuneration)
Position of the Dutch tax authorities on the application of the withholding exemption of the Dutch dividend withholding tax Act in cases the dividend is not eligible for treaty benefits
The Inclusive Framework on BEPS released a consolidated version of the Commentary to the Global Anti-Base Erosion Model Rules
Memorandum of Understanding as concluded by the Dutch and German Ministries of Finance on their intend to continue their discussion on the tax consequence of teleworking by cross-border workers
The DAC9 Directive has been published in the Official Journal of the European Union
Protocol amending the existing DTA as concluded between the Kingdom of the Netherlands and the Federal Republic of Germany has been published in the Dutch State Gazette
Competent authority mutual agreement on the implementation of part VI of the multilateral convention to implement tax treaty related measures to prevent BEPS as concluded between the competent authorities of Belgium and The Netherlands
The Council of the European Union adopted the DAC9 Directive
The CJEU ruled in Case C-228/24, Nordcurrent group (The anti-abuse provision of the Parent-Subsidiary Directive)