In this contribution, the authors provide an overview of the implementation of the EU Anti-Tax Avoidance Directives (ATADs) 1 and 2 in the Netherlands. After providing an overview of the implementation process, the authors will analyse and comment on the several amendments made to Dutch corporate income tax law. There is specific focus on the interest deduction limitation rule, controlled foreign company (CFCs), general antiabuse rule (GAAR), and hybrid mismatches. The authors will address certain ambiguities and highlight some potential issues from an EU law perspective. The authors will also briefly discuss recent developments such as the Netherlands’ proposal to unilaterally address certain transfer pricing mismatches and the impact of t...
The aim of the thesis is to describe and evaluate the Czech implementation of Anti-Tax Avoidance Dir...
markdownabstractThis national report has been prepared as a contribution to the Conference of the Eu...
This paper elaborates on the provision on tax abuse in the EU’s Anti Tax Avoidance Directive (‘ATAD’...
In this contribution, the authors provide an overview of the implementation of the EU Anti-Tax Avoid...
This paper illustrates and comments the implementation of art. 6 ATAD in the Dutch tax system. After...
The article deals with new measures laid down in the Dutch corporate tax against so called hybrid mi...
The approach of the Netherlands to tackling tax evasion and tax avoidance has changed over the cours...
This national report has been prepared as a contribution to the Conference of the European Associati...
In BEPS Action 4 is vastgelegd dat de aftrek van rente voor de toepassing van de vennootschapsbelast...
The EU has adopted to the anti-tax avoidance package to implement the OECD action plan on Base Erosi...
The Anti-Tax Avoidance Directive (ATAD-1) is perhaps the most important achievement so far by the Eu...
Unlike other previous EU Directives in the field of direct taxation, the Anti-Tax Avoidance Directiv...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
In this article, the authors explain the amendments to Dutch tax law as a result of the recent imple...
peer reviewedThis short chapter analyses the relationship between the interest limitation rules laid...
The aim of the thesis is to describe and evaluate the Czech implementation of Anti-Tax Avoidance Dir...
markdownabstractThis national report has been prepared as a contribution to the Conference of the Eu...
This paper elaborates on the provision on tax abuse in the EU’s Anti Tax Avoidance Directive (‘ATAD’...
In this contribution, the authors provide an overview of the implementation of the EU Anti-Tax Avoid...
This paper illustrates and comments the implementation of art. 6 ATAD in the Dutch tax system. After...
The article deals with new measures laid down in the Dutch corporate tax against so called hybrid mi...
The approach of the Netherlands to tackling tax evasion and tax avoidance has changed over the cours...
This national report has been prepared as a contribution to the Conference of the European Associati...
In BEPS Action 4 is vastgelegd dat de aftrek van rente voor de toepassing van de vennootschapsbelast...
The EU has adopted to the anti-tax avoidance package to implement the OECD action plan on Base Erosi...
The Anti-Tax Avoidance Directive (ATAD-1) is perhaps the most important achievement so far by the Eu...
Unlike other previous EU Directives in the field of direct taxation, the Anti-Tax Avoidance Directiv...
European Union (EU) law has played a key role in enforcing the EU BEPS agenda, while also introducin...
In this article, the authors explain the amendments to Dutch tax law as a result of the recent imple...
peer reviewedThis short chapter analyses the relationship between the interest limitation rules laid...
The aim of the thesis is to describe and evaluate the Czech implementation of Anti-Tax Avoidance Dir...
markdownabstractThis national report has been prepared as a contribution to the Conference of the Eu...
This paper elaborates on the provision on tax abuse in the EU’s Anti Tax Avoidance Directive (‘ATAD’...