Thijs Poelert joins the firm
We are proud to welcome this talent to our firm!
We are proud to welcome this talent to our firm!
Today, the Dutch government issued a decree on the anti-hybrid rules (ATAD2). The decree confirms that the dual inclusion escape may apply for two specific situations involving (a.) a Dutch entity in a US REIT structure and (b.) a Dutch entity classifying as ‘partnership’ from a US tax perspective.
A bill has just been published to amend the Dutch tax plans per 2022. The headline CIT rate will increase to 25.8% (vs 25% today) and the earnings stripping rule will be tightened by decreasing the EBITDA percentage to 20% (vs 30% today).
We are proud to welcome this talent to our firm! Estée starts on November the first at vanOlde!
Yesterday, the Dutch Ministry of Finance published the tax package for the year 2022. It includes relevant changes for (multinational) companies, (real estate) investors and employees.
Proud that vanOlde has been the tax advisor of Deka regarding the acquisition of the mixed-used building Sijthoff City in The Hague.
The acquisition of the legal title of shares in a real estate company is subject to real estate transfer tax, even if no economic interest to the shares is acquired.
Today, Russia introduced a bill on the termination of the Russian-Netherlands tax treaty to the Duma.
The acquisition of the legal title of shares in a real estate company is subject to real estate transfer tax, even if no economic interest to the shares is acquired.
A third consultation document regarding the entity classification of partnerships such as CVs will follow.