, Tax partner Bird & Bird NL, will discuss
- Recent international developments that may impact holding structures (BEPS, OECD, Europe, domestic).
- Dutch holding companies
- Recent changes in the law and practice
- What is the current position on corporate income tax
- No withholding tax on interest, services, capital gains, and royalty payments: how to achieve?
- Dutch "Special" regime: "the Holding company+plus"
For more information please contact, Willem Bongaerts