Rhys Bane and Jian-Cheng Ku of DLA Piper analyse the Dutch Supreme Court’s crucial ruling, and set out practical steps taxpayers may take to challenge the interest deduction rule.
Jian-Cheng Ku and Rhys Bane of DLA Piper discuss the most significant tax proposals announced in the 2023 budget that are relevant for multinational enterprises with activities in the Netherlands.
Jian-Cheng Ku and Rhys Bane of DLA Piper Netherlands discuss the impact of potential changes to the legal entity qualification policy that has a proposed effective date of January 1 2022.
Jian-Cheng Ku and Rhys Bane of DLA Piper explain how the Netherlands have approached the documentation requirement introduced by the implementation of ATAD II
The Netherlands is renewing and revising its practice regarding advance tax rulings (ATRs) and advance pricing agreements (APAs). The Dutch government expects that these renewed Dutch ruling practice shall take effect July 1 2019.