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The Netherlands in International Tax Planning (Second revised edition)

The second edition of The Netherlands in International Tax Planning is an indispensable tool for corporate foreign investors, international tax practitioners, tax advisers and lawyers involved in cross-border transactions to or from the Netherlands. 
 
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Title:

The Netherlands in International Tax Planning (2nd revised edition)

Author(s):

Johann Müller

Date of publication:

January 2008

ISBN:

978-90-8722-024-2

Type of publication:

Print Book

Number of pages:

416

Terms:

Price includes delivery. View purchase information

Price:
€ 120 / $ 155 (VAT excl.)
Order Print
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Title:

The Netherlands in International Tax Planning (2nd revised edition)

Author(s):

Johann Müller

Date of publication:

January 2008

ISBN:

978-90-8722-024-2

Type of publication:

Online book

Number of pages:

416

Access:

Up to five users. View purchase information

Price:
€ 120 / $ 155 (VAT excl.)
Order Online book
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Special Offer

Order 2 books from the International Tax Planning series and receive a 20% discount. Order 3 or more books and receive a 30% discount. The discount will not show immediately on your order, but will be applied to the invoice.
The Netherlands in International Tax Planning (Second revised edition)

Why this book?

This book is a It is a valuable reference work for academics and all those interested in gaining a better understanding of the Dutch tax legislation. This second edition of The Netherlands in International Tax Planning has been necessitated by the substantial amendments introduced to the Dutch corporate income tax system per 1 January 2007. These changes include a considerable revision of the participation exemption and several changes to Dutch interest limitation rules. In addition, a 10% royalty income box has been introduced and a 5% interest income box proposed; the interest income box still needs the blessing of the European Union. Dutch capital duty was already abolished per 1 January 2006. This book discusses current law only.
Similar to the first edition, the book provides a practical guide on dealing with the Dutch taxation of businesses investing into, via (conduit structures), or from the Netherlands. The book focuses on corporate income tax and dividend tax as well as on other issues typical of an international environment. Where relevant, the link between Dutch law and European law on direct taxation is also mentioned. Several examples of practical structures and calculations are given in order to enhance the reader’s understanding.
 

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The second edition of The Netherlands in International Tax Planning is an indispensable tool for corporate foreign investors, international tax practitioners, tax advisers and lawyers involved in cross-border transactions to or from the Netherlands. It is a valuable reference work for academics and all those interested in gaining a better understanding of the Dutch tax legislation.
 

This book is part of the International Tax Planning Series

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Main Contents

 

  • An introduction to Dutch domestic law, including both corporate and personal income tax, dividend withholding tax, capital duty, real estate transfer tax.
  • An in-depth analysis of the Dutch corporate income tax system including financing a taxpayer, tax consolidation, holding companies and participation exemption, corporate reorganizations, financing companies, transfer pricing, loss compensation, inbound investments and anti-abuse legislation.
  • Recent changes to Dutch participation exemption, abolishment of capital duty, abolishment of hybrid loan legislation, changes to Dutch interest limitation rules are highlighted.
  • An overview of Dutch international law examining treaties, the tax agreement for the Kingdom of the Netherlands, the unilateral decree for the prevention of double taxation and EU law.
  • A description of Dutch dividend tax including EU entities and dividend tax credit.
  • An overview of the exchange of information including national law, the ruling practice, treaties and EU law.
  • A description of the personal income tax, including 30% cost allowance and employee stock option plans.

About the Author

Johann Müller works as in-house counsel in international taxation for the A.P. Moller-Maersk group. Prior to this he worked at various large Dutch tax firms, both in the Netherlands and abroad, specializing in international taxation with a focus on mergers and acquisitions, international reorganizations and cross-border leasing. Mr Müller is an active teacher and has spoken regularly at international tax conferences.
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