This national report has been prepared as a contribution to the Conference of the European Association of Tax Law Professors entitled ‘Tax Avoidance Revisited: Exploring the Boundaries of Anti-Avoidance Rules in the EU BEPS Context. The conference is to be held in Munich, Germany, on 2-4 June 2016. The national report – quite comprehensively – deals with the phenomena of tax avoidance and tax planning by multinationals and the addressing of these in the Netherlands’ corporation tax system. Topics addressed include: - General observations on tax avoidance, tax planning and aggressive tax planning; - National GAAR (fraus legis), and accompanying case law including case law on mismatches; - Tax Base Calculation/Transfer Pricing, and...
The aim of this paper is to define the line between tax planning and tax avoidance. Therefore, the a...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
markdownabstractThis national report has been prepared as a contribution to the Conference of the Eu...
This national report has been prepared as a contribution to the Conference of the European Associati...
The approach of the Netherlands to tackling tax evasion and tax avoidance has changed over the cours...
Anti-BEPS Measures in the EU This Master’s thesis analyses the directives and legislative initiative...
In the recent years, the focus on multinationals’ tax avoidance schemes or Base Erosion & Profit Shi...
This paper discusses the harmful tax practices of multinational enterprises (MNEs) and the fight of ...
Taxpayers who pay their tax on time may apply for tax avoidance practices within the criteria set ou...
The goal of this paper is to define and quantitatively measure tax avoidance. So far any rigorous as...
This contribution analyses the status quo of anti-tax avoidance laws and doctrines in Luxembourg in ...
Taxation inevitably gives rise to tax planning. In the era of globalization, multinationals in parti...
In 2015, the G20/OECD delivered its long awaited final reports relating to the Base Erosion and Prof...
Title in English: Legal aspects of tax planning in the direct tax area Abstract: In 2012, the Europe...
The aim of this paper is to define the line between tax planning and tax avoidance. Therefore, the a...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
markdownabstractThis national report has been prepared as a contribution to the Conference of the Eu...
This national report has been prepared as a contribution to the Conference of the European Associati...
The approach of the Netherlands to tackling tax evasion and tax avoidance has changed over the cours...
Anti-BEPS Measures in the EU This Master’s thesis analyses the directives and legislative initiative...
In the recent years, the focus on multinationals’ tax avoidance schemes or Base Erosion & Profit Shi...
This paper discusses the harmful tax practices of multinational enterprises (MNEs) and the fight of ...
Taxpayers who pay their tax on time may apply for tax avoidance practices within the criteria set ou...
The goal of this paper is to define and quantitatively measure tax avoidance. So far any rigorous as...
This contribution analyses the status quo of anti-tax avoidance laws and doctrines in Luxembourg in ...
Taxation inevitably gives rise to tax planning. In the era of globalization, multinationals in parti...
In 2015, the G20/OECD delivered its long awaited final reports relating to the Base Erosion and Prof...
Title in English: Legal aspects of tax planning in the direct tax area Abstract: In 2012, the Europe...
The aim of this paper is to define the line between tax planning and tax avoidance. Therefore, the a...
Multinational Companies are using treaties between states to enter into schemes for tax avoidance an...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...