Irish IFSC tax regime considered a reasonable tax regime from a Netherlands corporate income tax perspective : decision of the Supreme Court of 8 February 2002 (no. 36358)

In the decision of 8 February 2002, the Netherlands Supreme Court found that the Irish IFSC tax regime was reasonable and consequently allowed a deduction for interest paid in 1989 by a Dutch company on a loan granted by a related Irish international financial services company.