CFA Society Netherlands

Size: px
Start display at page:

Download "CFA Society Netherlands"

Transcription

1 CFA Society Netherlands Advice Date: April 11, 2014 Subject: Review Dutch tax (compliance) structure Introduction 1. Facts and assumptions The facts and assumptions we have used for our analysis are as follows: - CFA Society of the Netherlands ( CFA NL ) is incorporated under Dutch law and effectively managed in the Netherlands; - CFA NL has the legal form of a society (in Dutch: Vereniging ); - CFA NL is a non-profit organization that seeks to operate on a cash neutral basis in the long term. - Currently, CFA NL is tax-exempt, i.e. not liable to Corporate Income Tax ( CIT ). - The mission of CFA NL is to lead the investment profession in the Netherlands by setting the highest standards of ethics, education and professional excellence. - The purpose of CFA NL is to act on behalf of its members, which are working in the financial sector. - The members of CFA NL are also members of CFA US ( the parent corporation ). Members of CFA US pay a membership subscription fee. Members of the CFA US can also choose to become members of CFA NL. Those members need to pay an additional membership subscription fee (for the membership of CFA NL) which CFA US collects on behalf of CFA NL and consequently pays that subscription fee to CFA NL. - CFA NL promotes the interest of the financial sector, particularly in the Netherlands. Its members, who work in the financial sector, pay a membership subscription, the greater part of which goes towards activities designed to promote their general interest. - In addition to promoting those interests, CFA NL provides a number of individual services to its members, for which it charges no (or limited) extra fees since the costs of providing these services are taken into account in the payment of the membership subscription. These individual services to its members consist of free events or providing a discount to those events and in the future providing inter alia access to a job board specifically for the financial sector. - CFA NL receives various payments from CFA US as subsidy or compensation for expenses for organizing activities intended to promote the financial sector. These events are not always exclusively for members, but for instance also for students. - CFA NL receives remuneration for so called strategic sponsorship packages for organizing events, under the condition that CFA NL promotes the name of the sponsor (e.g. Bank x). - Furthermore CFA NL organizes broadly four types of events: (1) annual events, (2) larger, topical education events, (3) smaller topic-specific events and (4) events which are co-organized with CFA NL s partners. - CFA NL has built up a team of volunteers (including the board members of CFA NL) to support the organization of the events. - Since 2010 (financial year 2010/2011), CFA NL holds all the shares in CFA Support BV ( CFA BV ) incorporated under Dutch law and effectively managed in the Netherlands; - CFA NL assigns CFA BV to perform the above mentioned activities for which the CFA BV receives a remuneration (funding) from CFA NL.

2 - CFA BV was founded in 2010 in order to conduct the Staffed Office activities with respect to office space, equipment and personnel in a separate entity. - As from January 1, 2012, CFA BV has hired an independent contractor to perform these Staffed Office Services. We understand that the services are not performed full time and that this person (Mrs Thompson) has provided similar services to various different contractors in the past. We also understand that the number of individuals with similar contracts has recently been increased. - In the financial years 2007/2008 up to and including 2009/2010, CFA NL realized the following profits: o 2007/2008: o 2008/2009: o 2009/2010: In the financial years 2010/2011 up to and including 2012/2013, CFA NL and CFA BV realized the following results: Year CFA NL CFA BV Consolidated 2010/ / / / / / The main sources of income for CFA NL consist of annual membership fees, sponsorship from CFA Institute to finance the organization of events and to professionalize the organization. For the latter source of funds, the board of CFA NL frequently needs to submit a business plan in order to receive funds from CFA Institute. - The main sources of income for CFA BV consist of income from the Program and Events and from Education and Courses as well as funding received from CFA NL. We also refer to the documents attached to the of Jeroen Bos dated 7 February Executive Summary From a corporate income tax and VAT perspective we do not see benefits of having a two entities structure assuming that the consolidated financial results of CFA NL and CFA BV will not increase. The disadvantage of liquidating CFA BV may be the loss of NOLs. However, if the foundation can qualify for the small foundation exemption, there is still no corporate income tax due. For VAT purposes the activities of CFA NL partly qualify as VAT entrepreneur. Since CFA BV is subcontractor of CFA NL, it is qualified as VAT entrepreneur. Nevertheless, CFA BV is not required to charge VAT to CFA NL since we believe that CFA NL and CFA BV qualify as fiscal unity for VAT purposes. CFA NL has never charged VAT for part of its membership fees. This is not correct and we suggest to reach a practical agreement with the Dutch Revenue for the past as well as the future. In addition there are also possibilities to recover input VAT, which has not been done in the past. In order to avoid any wage tax risk we would recommend asking all the contractors to provide CFA with a VAR WUO declaration to prevent that CFA has employers obligations. Contracting persons for more than 20 hours a week is maybe not advisable. Terminating contracts with persons that cannot provide a VAR WUO is advisable. If

3 this situation would occur, we would recommend that we do a check for the past to determine whether CFA is also exposed and determine whether there are any employers obligations. 3. Questions Corporate income tax What is the optimal way to structure CFA NL from a Dutch corporate income tax perspective, taking into consideration the following aspects: 1. The current corporate income tax rules and the benefit of CFA BV; 2. Risk perspective considerations (current structure versus one-entity-structure); 3. Cost considerations of going back to one-entity-structure; 4. The status of gifts received CF NL; 5. Positioning of different events and activities including offering a special CFA preparation course to professionals; 6. Implications of money flows from CFA NL to BV and vice versa; 7. Sustainability (future proof); VAT A.What is the VAT position of both CFA NL and CFA BV, more specifically taking into account the following aspects: 1. For which activities does CFA NL and/or CFA BV qualify as VAT entrepreneur?; 2. For which activities does Dutch VAT need to be charged?; 3. Do CFA NL and CFA BV qualify as a VAT group?; 4. Do CFA NL and CFA BV have the right to deduct input VAT, and if so to what extent? B. What is the optimal way to structure CFA NL and CFA BV from a VAT point of view, taking into consideration the VAT position and the need to have a low maintenance structure (given the fact the volunteers do most of the day to day work). Wage tax Is there a wage tax compliance risk for CFA BV and how can we mitigate any (remaining) risk.

4 4. Analysis 4.1. Corporate income tax Relevant CIT legislation Corporate income tax liability A society is liable to CIT but only if and insofar it runs an enterprise (note that if a society does not run an enterprise, but is competing with enterprises with similar activities, it is also liable to CIT). It should be determined per activity whether or not it can be considered an enterprise. An enterprise exists in case of: - An organization of capital and labor; - That is participating in the economic environment; - With an objective to realize profits Based on Dutch case law, the presence of a structural surplus is a strong indicator for the existence of an objective to realize profits. A BV is deemed to run an enterprise with all its assets and liabilities as a result of which its always fully liable to CIT. The current legal structure is set up with the purpose of allocating the activities that can be considered an enterprise to CFA BV. The activities that should not be considered an enterprise are currently performed by CFA NL. Based on the facts and assumptions, the activities of CFA NL should in principle be tax exempt as they are not aimed at realizing profits. Although the profits realized by CFA NL in the last financial years have resulted in a significant amount of surplus cash, this should not lead to an objective to realize profits. This because the profits arose mainly from annual membership fees and sponsorship from CFA Institute, which should be considered income from non-entrepreneurial and therefore tax-exempt activities. We note however, that it is important to monitor the surplus cash position of CFA NL in order to avoid that the Dutch tax authorities will take the position that CFA NL is subject to CIT. It could be considered to obtain a ruling from the Dutch tax authorities confirming the tax-exempt position of CFA NL. This will only be interesting if CFA would decide to continue with the existing business set up. Exemption for small foundations and societies. As per 1 January 2012, an exemption of CIT applies on so-called small foundations and societies. This exemption applies if the following requirements are met in a financial year: 1. The taxable profit of the financial year does not exceed , or; 2. The taxable profit of the financial year and the preceding four years does not exceed If a loss is realised in a certain year, the profit is deemed to be nil. In other words, for the purpose of the threshold it is not possible to offset losses with future profits. Upon request of the foundation or society, it is possible to opt for tax liability. If a foundation or society has opted for tax liability, it remains subject to tax for at least five years. Based on the facts and circumstances, if all the activities of CFA NL and CFA BV would be carried out by CFA NL, the taxable profits of CFA NL should not exceed an amount of or an amount of during a five-year period (assuming the results remain more or less the same). Also in financial year 2012/2013 the taxable profits

5 should not have exceeded an amount of , because the profits of CFA NL mainly arose from annual membership fees and sponsorship from CFA Institute, which should be considered income from nonentrepreneurial and therefore tax-exempt activities. ANBI-status Certain entities can apply for the so-called ANBI-status, i.e. the status of an institution looking after the public interest (in Dutch: Algemeen Nut Beogende Instelling). If an entity has the ANBI-status, it has the following tax benefits: 1. All profits realized by its subsidiary BV which are distributed to the ANBI are tax-deductible, provided the following requirements are met: a. The activities of the subsidiary are considered known fundraising activities, i.e. they are for more than 50% performed by volunteers and consist of services rendered against an arm s length price but with a lower cost price and it is known to the buyer that the proceeds are meant for the public interest b. The subsidiary has the obligation to distribute at least 90% of the proceeds within six months after the years in which the funds were raised. 2. Gifts received by and from an ANBI are exempt from gift tax. 3. Gifts made to an ANBI are deductible for Personal Income Tax and CIT purposes. In order to qualify for the ANBI-status, an entity should meet a number of requirements. Based on the facts and assumptions, we do not expect CFA NL to meet these requirements. For the purpose of this memo, we will not elaborate on the possibility of obtaining the ANBI-status.

6 Optimal structure from a CIT perspective The optimal structure - taking into consideration the aspects as mentioned in paragraph 2 - depends largely on the expected results to be achieved by CFA NL and CFA BV. In this respect, there are 3 possible scenarios: 1. The expected consolidated results of CFA NL and CFA BV will increase significantly; 2. The expected consolidated results of CFA NL and CFA BV will remain the same; 3. The expected consolidated results of CFA NL and CFA BV will decrease significantly. Compared to a one-entity structure in which only CFA NL will remain in place, the current legal structure is only attractive if case scenario 1 would occur. In that case, the main benefit of the current legal structure is that the losses incurred by CFA BV up to and including 2012/2013 are in principle available to offset against future profits of CFA BV, as a result of which any profits realized in the coming years will not be subject to Dutch CIT. These losses can no longer be used as from the moment CFA would go back to a one-entity structure. Other benefits are: 1. There is a clear distinction between the entrepreneurial and thus taxable activities (performed by CFA BV) and the non-entrepreneurial and thus tax-exempt activities (performed by CFA NL); 2. There are no specific reputational or other risks attached to the current structure. The current structure does not involve tax planning that could be considered aggressive as all the entrepreneurial activities are performed by a taxable entity. However, taking into consideration the consolidated results of CFA NL and CFA BV and assuming scenario 1 will not occur, it could be considered to liquidate CFA BV and to transfer the activities of CFA BV back to CFA NL. If, as from that moment, the taxable profits of CFA NL would not exceed an amount of or an amount of during a five-year period, CFA NL would not be subject to CIT under the exemption for small foundations and societies. We note that such a transfer of activities may lead to a realisation of hidden reserves. If this would result in a profit after loss compensation, corporate income tax is due over these profits. However, given the fact that CFA BV is loss making, it is questionable that any hidden reserves will be realised upon liquidation of CFA BV. If it is expected that scenario 1 will occur and the positive results will increase significantly over the next five years, there is a possibility that CFA NL would not be able to meet the requirements under the exemption for small foundations and societies. In case the increase in result from 2011/2012 to 2012/2013 and the result of the latter financial year represents the expected (increase in) results for the upcoming years, the exemption for small foundations and societies may not be applicable during a long time. In that case, an annual CIT return should be filed by CFA NL with respect to the taxable activities and CFA NL should thus be able to demonstrate which activities are taxable and which activities are tax-exempt. In that respect, going back to a one-entity structure may not result in significant savings of administrative costs and it may lead to an additional corporate income tax liability because the losses of CFA BV are no longer available. If it is expected that scenario 1 is unlikely to occur in the upcoming years and/or if it is expected that the results are relatively easy to manage, the optimal way to structure CFA NL from a Dutch corporate income tax perspective, would be to go back to a one-entity structure.

7 4.2. VAT Position A.What is the VAT position of both CFA NL as CFA BV, more specifically taking into account the following aspects: 1. For which activities does CFA NL and/or CFA BV qualify as VAT entrepreneur?; 2. For which activities does Dutch VAT need to be charged?; 3. Do CFA NL and CFA BV qualify as a VAT group?; 4. Do CFA NL and CFA BV have the right to deduct input VAT, and if so to what extent? For which activities does CFA NL and/or CFA BV qualify as VAT entrepreneur CFA NL CFA NL does not qualify as a VAT entrepreneur for the activities that consist of promoting the general interest of the financial sector. In such cases as the present one, there is no consumption from a VAT point of view. The members do not acquire goods or services for their own use but instead the financial sector is promoted. On the other hand, CFA NL does qualify as a VAT entrepreneur for activities which benefit the members directly like organizing events for her members, providing education and for the intended job board for which she will provide specific vacancies in the financial sector to her members and for which CFA NL receives remuneration (in the form of membership subscription fees). CFA NL also qualifies as a VAT entrepreneur for the strategic sponsorship packages since CFA basically needs to provide advertising services in exchange for the payments of these sponsors. CFA BV CFA NL basically uses CFA BV as a subcontractor, CFA BV performs various activities like organizing events, providing education and promoting the financial sector on behalf of CFA NL. CFA BV receives remuneration for performing these services. Consequently CFA BV qualifies as a VAT entrepreneur. In general all remuneration falls within the scope of VAT For which activities does Dutch VAT need to be charged CFA NL The membership subscription fees basically need to be divided into a part that falls within the scope of VAT, which is the part that is accountable to providing free events for members and the upcoming job board, and on the other hand the part that falls outside the scope, consisting of the membership subscription fees that is accountable to promoting the financial sector. CFA is due 21% VAT on the part of the membership subscription fee that is within the scope of VAT (free events and job board).we understand the CFA NL did not file any VAT returns, as a result this VAT has not been accounted yet.

8 In practice it is quite difficult to exactly determine which part of the membership fee falls within the scope of VAT and which part falls outside the scope of VAT. In general you can come to an agreement with the Dutch Tax Authorities ( DTA ) regarding this issue. Furthermore, the strategic sponsor ship packages, for which CFA NL needs to promote the name of the sponsor, is VAT taxable. Consequently, CFA NL should issue invoices including VAT to these sponsors for (basically) providing advertising services. However, we understand that the sponsors are established in other EU countries or outside the EU. As a result, the levying of VAT is reversed charged to the customer if and insofar as the customers have a VAT identification number which has been issued in that other member state and these services are performed using that VAT identification number on the invoices (for customers established in another country). Although no VAT is due by CFA NL, it is still required to report these services provided to customers established in another EU countries on her VAT return and file EC Sales Listings. For customers outside the EU, it is not required to have a valid VAT number (if any) nor required to include that turnover on the EC Sales Listings. CFA NL is also due 21% VAT on the remuneration for providing education. The subsidies CFA NL receives from CFA US to compensate the expenses for organizing activities to promote the financial sector fall outside the scope of VAT in our opinion. CFA US nor any other person or group of persons benefit directly from the activities performed by CFA NL since these activities relate to promoting the general interest of the financial sector (therefore no consumption as envisaged in the VAT system is present) CFA BV The renumeration CFA BV receives for providing services to CFA NL is in general VAT taxable. However, CFA BV probably forms a VAT group with CFA NL (please see par ). Services provided by one member of the VAT group to another member of the VAT group qualify as internal services which fall outside the scope of VAT. As a result no VAT is due Do CFA BV and CFA NL form a VAT group? VAT taxable persons that have a significant financial, organizational and economic link form a VAT group. A significant financial link is present in case the majority of the shares, voting right included, are held by the same person/entity. In this case this condition is fulfilled since CFA NL holds all the shares of CFA BV, voting rights included. An organizational link is basically present if the VAT taxable persons are managed by the same board, which is the case in the present situation. The condition of the economic link can be met if: 1) the turnover from intra-group services or goods supplied amounts to more than 50%; or 2) there is a joint customer base. Recently the Supreme Court has ruled that the economic link may also be present where goods are supplied to a VAT group which has several customers in common. In our opinion this condition is met since the intra-group services of CFA BV to CFA NL amount to more than 50%. Given the above, CFA BV and CFA NL form a VAT group. In contrary to the so called fiscal unity for Corporate Income tax purposes, a VAT group exists if and insofar the conditions are met. It is therefore not relevant whether an official notification from the DTA is present nor is it relevant whether an application to form a VAT group has been filed.

9 Deduction of input VAT Input VAT related to expenditure for non taxable activities is in general non deductible as this falls outside the scope of the VAT system. For input VAT related to expenditure for taxable activities the following rules apply: o input VAT that can be directly and exclusively allocated to taxable supplies is fully deductible; o input VAT that can be directly and exclusively allocated to exempt supplies (like financial and i insurance supplies) is not deductible; o input VAT that can be allocated to both taxable and exempt supplies (general costs) is deductible on a pro rata basis. The pro rata is in general based on the percentage of taxable and exempt turnover. Since CFA NL and CFA BV form a VAT group, the right to deduct input VAT related to general costs should be determined on the level of the VAT group and not on the level of the separate entities. Consequently, CFA NL can deduct general costs on a pro rata basis. We understand that currently CFA NL has not deducted any input VAT. Based upon our understanding this is not correct since CFA NL has the right to partly deduct input VAT Optimal structure from a VAT perspective From a VAT perspective the current legal structure does not have any benefits. The two entities form a VAT group and are therefore considered to be one VAT entrepreneur. From a practical point of view it can be beneficial to conduct all activities from one entity. It might be beneficial for CFA NL to conduct all activities, consequently CFA BV does not act as a subcontractor for CFA BV any more, and therefore CFA BV can either be liquidated or remain for possible future use Wage Tax To avoid that CFA will be required to withhold wage tax and be subject to many other employers obligations, it is important to take adequate measures. Although it is currently in the spotlight and the newspapers, the most efficient measure is asking each contractor to provide a VAR WUO declaration which is in essence a confirmation from the Dutch Revenue that the person qualifies as entrepreneur. With this VAR WUO declaration it is not possible to be held liable for wage tax and therefore it provides effective protection. This requires for instance that the contractor is independent and also has other clients as well. If a contractor cannot provide a VAR WUO, this is probably a reason to terminate the contract. Nevertheless, it is important first to check the reason of the refusal of the Dutch Revenue and to check any liability for the past. We can assist you with that. For new contractors we recommend that the provision of the VAR WUO is a requirement before entering into a business relation with this person. Furthermore, it is not advisable to contract person for more than 20 hours a week.

10 5. Way forward 5.1. CIT Determine whether it is likely that CFA NL can qualify for the small foundation exemption in the future Decide to liquidate the BV or not Ask for a ruling for the small foundation exemption 5.2. VAT Liaise with the DTA to determine for which part of the membership subscription fees Dutch VAT needs to be levied and which part falls outside the scope of VAT. Liaise with the DTA to determine the right of deduction of input VAT, specifically VAT on expenditure that is related to both VAT taxable as well as to non VAT taxable activities (e.g. promoting general interest of financial sector ). Based on the results of the above, determine if ultimately, CFA NL and CFA BV need to pay additional VAT for the period 2009 up to and including 2013 or can reclaim additional VAT. It might be beneficial that CFA NL conducts all activities, therefore CFA BV does not operate as a subcontractor any more for CFA NL, Setting up a practical VAT manual describing among other things the following subjects: 1) on which invoices does Dutch VAT need to be included?, to which entity the vendors should issue invoices and how to calculate the right to deduct input VAT Wage Tax Request all contractors to provide a VAR WUO declaration If this is not possible for all existing contractors, determine past wage tax risk and determine appropriate measures

1. What are recent tax developments in your country which are relevant for M&A deals?

1. What are recent tax developments in your country which are relevant for M&A deals? Netherlands General Netherlands 1. What are recent tax developments in your country which are relevant for M&A deals? Most recent tax developments in the Netherlands are based on the OECD (BEPS) and EU

More information

THE NETHERLANDS GLOBAL GUIDE TO M&A TAX: 2017 EDITION

THE NETHERLANDS GLOBAL GUIDE TO M&A TAX: 2017 EDITION THE NETHERLANDS 1 THE NETHERLANDS INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? There are various relevant developments

More information

GERMANY GLOBAL GUIDE TO M&A TAX: 2017 EDITION

GERMANY GLOBAL GUIDE TO M&A TAX: 2017 EDITION GERMANY 1 GERMANY INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? Germany has recently seen some legislative developments

More information

BELGIUM GLOBAL GUIDE TO M&A TAX: 2018 EDITION

BELGIUM GLOBAL GUIDE TO M&A TAX: 2018 EDITION BELGIUM 1 BELGIUM INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? A major corporate income tax reform has been published

More information

INTRODUCTION 2019 TAX PLAN

INTRODUCTION 2019 TAX PLAN 2019 DUTCH TAX PLAN INTRODUCTION During Budget Day (18 September 2018) in the Netherlands a number tax plans were published. Please find below a selection of the most relevant proposals PERSONAL INCOME

More information

7.6. Commentary Within the territory of a country The price

7.6. Commentary Within the territory of a country The price 7.6. Commentary 7.6.1. Within the territory of a country 7.6.1.1. The price The taxable amount is everything which constitutes the consideration which has been or is to be obtained by the supplier from

More information

3.2. EU Interest-Royalty Directive Background and force

3.2. EU Interest-Royalty Directive Background and force 3.2. EU Interest-Royalty Directive 3.2.1. Background and force Force The Council Directive (2003/49/EC) on a Common System of Taxation Applicable to Interest and Royalty Payments Made between Associated

More information

FINLAND GLOBAL GUIDE TO M&A TAX: 2017 EDITION

FINLAND GLOBAL GUIDE TO M&A TAX: 2017 EDITION FINLAND 1 FINLAND INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? The most relevant recent developments in Finland relate

More information

Setting up your Business in Estonia Issues to consider

Setting up your Business in Estonia Issues to consider Estonia is well known with its highly developed IT solutions in both public and private sectors and unique income tax system for legal entities. It is possible to register online a new legal entity (private

More information

Netherlands 13 th Directive (86/560/EEC) VAT refunds

Netherlands 13 th Directive (86/560/EEC) VAT refunds Netherlands 13 th Directive (86/560/EEC) VAT refunds I. RECIPROCITY AGREEMENTS Article 2(2) 1. Does your country have any reciprocity agreements? No 2. If yes, what countries are included in the reciprocity

More information

GLOBAL INDIRECT TAX. Sweden. Country VAT/GST Essentials. kpmg.com TAX

GLOBAL INDIRECT TAX. Sweden. Country VAT/GST Essentials. kpmg.com TAX GLOBAL INDIRECT TAX Sweden Country VAT/GST Essentials kpmg.com TAX b Sweden: Country VAT/GST Essentials Sweden: Country VAT/GST Essentials Contents Scope and Rates 2 What supplies are liable to VAT? 2

More information

ANNUAL REPORT /

ANNUAL REPORT / ANNUAL REPORT 2017 01-01-2017 / 31-12-2017 Sint-Michielsgestel, 27 Maart 2018 1 DEAFBLIND INTERNATIONAL ANNUAL REPORT 2017 TABLE OF CONTENTS Annual report General 3 Financial position 5 Financial statements

More information

SOUTH AFRICA GLOBAL GUIDE TO M&A TAX: 2017 EDITION

SOUTH AFRICA GLOBAL GUIDE TO M&A TAX: 2017 EDITION SOUTH AFRICA 1 SOUTH AFRICA INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? In the 2016 Budget Review, tax avoidance

More information

Taxation of cross-border mergers and acquisitions

Taxation of cross-border mergers and acquisitions Taxation of cross-border mergers and acquisitions The Netherlands kpmg.com/tax KPMG International The Netherlands Introduction The Dutch tax environment for cross-border mergers and acquisitions (M&A)

More information

March, Stichting The Elba Charitable Foundation. Policy Plan

March, Stichting The Elba Charitable Foundation. Policy Plan March, 2017 Stichting The Elba Charitable Foundation Policy Plan 1. Introduction Before you is the Policy Plan of the Stichting Elba Foundation (the Foundation ). This Policy Plan gives an overview of

More information

Issues Relating To Organizational Forms And Taxation. FINLAND Roschier, Attorneys Ltd.

Issues Relating To Organizational Forms And Taxation. FINLAND Roschier, Attorneys Ltd. Issues Relating To Organizational Forms And Taxation FINLAND Roschier, Attorneys Ltd. CONTACT INFORMATION Manne Airaksinen & Mia Hukkinen Roschier, Attorneys Ltd. Keskuskatu 7 A, 00100 Helsinki, Finland

More information

Joined cases C-398/16 and C-399/16 X BV (C-398/16), X NV (C-399/16) v Staatssecretaris van Financiën

Joined cases C-398/16 and C-399/16 X BV (C-398/16), X NV (C-399/16) v Staatssecretaris van Financiën EU Court of Justice, 22 February 2018 * Joined cases C-398/16 and C-399/16 X BV (C-398/16), X NV (C-399/16) v Staatssecretaris van Financiën First Chamber: R. Silva de Lapuerta, President of the Chamber,

More information

VAT in the European Community APPLICATION IN THE MEMBER STATES, FACTS FOR USE BY ADMINISTRATIONS/TRADERS INFORMATION NETWORKS ETC...

VAT in the European Community APPLICATION IN THE MEMBER STATES, FACTS FOR USE BY ADMINISTRATIONS/TRADERS INFORMATION NETWORKS ETC... VAT in the European Community APPLICATION IN THE MEMBER STATES, FACTS FOR USE BY ADMINISTRATIONS/TRADERS INFORMATION NETWORKS ETC... Note This document collates a range of basic information on the application

More information

National Network of Fiscal Sponsors. Guidelines for Pre-Approved Grant Relationship Fiscal Sponsorship

National Network of Fiscal Sponsors. Guidelines for Pre-Approved Grant Relationship Fiscal Sponsorship Introduction National Network of Fiscal Sponsors Guidelines for Pre-Approved Grant Relationship Fiscal Sponsorship Fiscal sponsorship has evolved as an effective and efficient mode of starting new nonprofits,

More information

As of January 1, 2019, the tax rates for employees born on or after January 1, 1946 will be:

As of January 1, 2019, the tax rates for employees born on or after January 1, 1946 will be: Budget Day 2018: changes to payroll taxes On Budget Day, September 18, 2018, the government presented the package of measures for the 2019 Tax Plan to the Lower House. In this memorandum we address the

More information

ELIGIBILITY RULES. Rule No 1: Expenditure Actually Paid Out

ELIGIBILITY RULES. Rule No 1: Expenditure Actually Paid Out ESF/PA/2-2001 Eligibility Rules Department of Enterprise, Trade and Employment Circular No. ESF/PA/2-2001 The text of this Circular, with the exception of that in bold & italic, is taken directly from

More information

BKR Tax meeting Amsterdam 26th November 2012

BKR Tax meeting Amsterdam 26th November 2012 26 Th November 2012 May we introduce ourselves? Hans Maessen Director Maco Customs Service T: +31 (0) 475-425800 E: j.maessen@maco.nl Rob Zevenbergen Chairman Flynth VAT group T: +31 (0) 610564624 E: rob.zevenbergen@flynth.nl

More information

International Tax Poland Highlights 2018

International Tax Poland Highlights 2018 International Tax Poland Highlights 2018 Investment basics: Currency Polish Zloty (PLN) Foreign exchange control None (generally) for transactions with EU, EEA, OECD and some other countries. Permission

More information

Luxembourg Negotiated M&A Guide

Luxembourg Negotiated M&A Guide Luxembourg Negotiated M&A Guide Corporate and M&A Law Committee Contact Guy Harles Arendt & Medernach Luxembourg guy.harles@arendt.com 1. Legal background Acquisitions of private companies in Luxembourg

More information

GENERAL TERMS AND CONDITIONS OF SALE FOR CONSUMERS NEODERMA AMSTERDAM B.V.

GENERAL TERMS AND CONDITIONS OF SALE FOR CONSUMERS NEODERMA AMSTERDAM B.V. GENERAL TERMS AND CONDITIONS OF SALE FOR CONSUMERS NEODERMA AMSTERDAM B.V. These General Terms and Conditions of Sale have been filed with the Chamber of Commerce. Index: Article 1 - Definitions Article

More information

EUROPEAN COMMISSION DIRECTORATE-GENERAL TAXATION AND CUSTOMS UNION WITHDRAWAL OF THE UNITED KINGDOM AND EU RULES IN THE FIELD OF VALUE ADDED TAX

EUROPEAN COMMISSION DIRECTORATE-GENERAL TAXATION AND CUSTOMS UNION WITHDRAWAL OF THE UNITED KINGDOM AND EU RULES IN THE FIELD OF VALUE ADDED TAX EUROPEAN COMMISSION DIRECTORATE-GENERAL TAXATION AND CUSTOMS UNION Brussels, 27 March 2019 REV1 - Replaces the Notice to stakeholders published on 11 September 2018 NOTICE TO STAKEHOLDERS WITHDRAWAL OF

More information

SWEDEN GLOBAL GUIDE TO M&A TAX: 2017 EDITION

SWEDEN GLOBAL GUIDE TO M&A TAX: 2017 EDITION SWEDEN 1 SWEDEN INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? Effective as of 1 January 2016, dividend income is not

More information

In 2002 the arm s length principle was codified in the Netherlands by section 8b of the Corporate Income Tax Act (VPB) 1969.

In 2002 the arm s length principle was codified in the Netherlands by section 8b of the Corporate Income Tax Act (VPB) 1969. This is an official English translation of a decree issued by the State Secretary for Finance. In the event of a dispute concerning discrepancies between this translation and the original version in the

More information

BARBADOS CFA INC ANNUAL REPORT

BARBADOS CFA INC ANNUAL REPORT BARBADOS CFA INC. 2016 ANNUAL REPORT 1 TABLE OF CONTENTS The Treasurer s Discussions and Analysis Page 3 The 2016 Financial Statements Page 5 2 The Treasurer s Discussions and Analysis Financial Analysis

More information

Headquarter Jurisdictions Around the World: A Comparison

Headquarter Jurisdictions Around the World: A Comparison Headquarter Jurisdictions Around the World: A Comparison 2017 Austria Belgium Cyprus Dubai Hong Kong Ireland Luxembourg The Netherlands Portugal Singapore Spain Switzerland United Kingdom Headquarter jurisdictions

More information

Guidelines for buying and selling a business or company

Guidelines for buying and selling a business or company Guidelines for buying and selling a business or company Introduction This section covers the main tax issues that arise when buying or selling a business owned by a sole trader, a partnership or a company.

More information

1. What are recent tax developments in your country which are relevant for M&A deals?

1. What are recent tax developments in your country which are relevant for M&A deals? Finland General Finland 1. What are recent tax developments in your country which are relevant for M&A deals? The most relevant recent developments in Finland relate closely to the BEPS project. Interest

More information

THE TAXATION OF PRIVATE EQUITY IN ITALY

THE TAXATION OF PRIVATE EQUITY IN ITALY THE TAXATION OF PRIVATE EQUITY IN ITALY 1 Index 1 INTRODUCTION 3 1.1 Tax environment 5 1.2 Taxation system 5 1.2.1 Corporate Income Tax IRES 6 1.2.2 Regional Production Tax IRAP 9 2 TAXATION OF ITALIAN

More information

VAT Package Yannick Zeippen, Jacques Verschaffe! promoculture. larcier

VAT Package Yannick Zeippen, Jacques Verschaffe! promoculture. larcier VAT Package 2010-2015 Yannick Zeippen, Jacques Verschaffe! 3 O

More information

Financial Statement 2016

Financial Statement 2016 www.pedulianak.org Financial Statement 2016 2016 Dorpsstraat 4 5298 CB Liempde The Netherlands KvK-nummer: 17185803 RSIN: 816851554 Content: - Balance Sheet - Profit and Loss Account - Notes to the Financial

More information

- Observation of competitiveness rule which is to ensure the same taxation rules apply for all taxpayers in the Member States.

- Observation of competitiveness rule which is to ensure the same taxation rules apply for all taxpayers in the Member States. The Tax on Goods and Services(VAT) Introduction VAT was introduced in Poland in 1993. Since 1 May 2004 it has been harmonized with the common system of VAT binding in the Member States of the European

More information

Foreign Investments in German Real Estate

Foreign Investments in German Real Estate As the interest rates on financial investments considerably decreased in the aftermath of the European financial crises, real estate is widely seen to be a potential alternative. In this regard international

More information

Taxation of the Dutch Cooperative

Taxation of the Dutch Cooperative Tax Structurering Mergers & Acquisitions International Clients NGO's Memorandum Taxation of the Dutch Cooperative www.blueclue.nl The attractiveness of the Dutch cooperative - 1/2012-1/15 Table of Contents

More information

Tax alert The Netherlands Budget 2018

Tax alert The Netherlands Budget 2018 September 2017 Tax alert The Netherlands Budget 2018 On September 19, 2017 the Dutch government released its Budget 2018 containing the Tax Plan 2018 which includes certain amendments to Dutch tax law.

More information

Taxation of consignment stocks and call-off stocks

Taxation of consignment stocks and call-off stocks Taxation of consignment stocks and call-off stocks Updated information MARCH 2014 INDEX MEXICO AUSTRIA COLOMBIA GERMANY TURKEY UNITED KINGDOM THE NETHERLANDS SPAIN The content of this newsletter has been

More information

ROMANIA GLOBAL GUIDE TO M&A TAX: 2018 EDITION

ROMANIA GLOBAL GUIDE TO M&A TAX: 2018 EDITION ROMANIA 1 ROMANIA INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? The new Romanian Fiscal Code, in force starting 1 January

More information

TAX GUIDE FOR MICRO BUSINESSES 2011/12

TAX GUIDE FOR MICRO BUSINESSES 2011/12 SOUTH AFRICAN REVENUE SERVICE TAX GUIDE FOR MICRO BUSINESSES 2011/12 Another helpful guide brought to you by the South African Revenue Service Foreword TAX GUIDE FOR MICRO BUSINESSES 2011/12 This guide

More information

Direktor na Direktsia Obzhalvane i danachno-osiguritelna praktika Varna pri Tsentralno upravlenie na Natsionalnata agentsia za prihodite,

Direktor na Direktsia Obzhalvane i danachno-osiguritelna praktika Varna pri Tsentralno upravlenie na Natsionalnata agentsia za prihodite, JUDGMENT OF THE COURT (Third Chamber) 3 September 2015 (*) (Reference for a preliminary ruling Common system of value added tax Directive 2006/112/EC Articles 24(1), 25(b), 62(2), 63 and 64(1) Meaning

More information

NEW OECD GUIDANCE ON PERMANENT ESTABLISHMENTS

NEW OECD GUIDANCE ON PERMANENT ESTABLISHMENTS NEW OECD GUIDANCE ON PERMANENT ESTABLISHMENTS PRACTICAL CONSIDERATIONS & RECENT TAX DISPUTES PAOLO RUGGIERO 16 NOVEMBER 2017 INTRODUCTION Paolo Ruggiero Fantozzi & Associati, Taxand Italy T: +39 02 7260

More information

VAT FOR ARTISTS IN AN INTERNATIONAL CONTEXT

VAT FOR ARTISTS IN AN INTERNATIONAL CONTEXT Tax Advisers VAT FOR ARTISTS IN AN INTERNATIONAL CONTEXT Dr. Dick Molenaar 2017 Rotterdam, the Netherlands www.allarts.nl VAT FOR ARTISTS IN AN INTERNATIONAL CONTEXT 1. INTRODUCTION Activities of artists

More information

HANSTEEN HOLDINGS PLC

HANSTEEN HOLDINGS PLC THIS DOCUMENT IS IMPORTANT AND REQUIRES YOUR IMMEDIATE ATTENTION. If you are in any doubt about the contents of this document or as to what action you should take, you are recommended to seek your own

More information

Comments on the United Nations Practical Manual on Transfer Pricing Countries for Developing Countries

Comments on the United Nations Practical Manual on Transfer Pricing Countries for Developing Countries To: United Nations From: Repsol, S.A. Date: 02/28/2014 Comments on the United Nations Practical Manual on Transfer Pricing Countries for Developing Countries REPSOL appreciates the opportunity to contribute

More information

GLOBAL INDIRECT TAX. Malta. Country VAT/GST Essentials. kpmg.com TAX

GLOBAL INDIRECT TAX. Malta. Country VAT/GST Essentials. kpmg.com TAX GLOBAL INDIRECT TAX Malta Country VAT/GST Essentials kpmg.com TAX b Malta: Country VAT/GST Essentials Malta: Country VAT/GST Essentials Contents Scope and Rates 2 What supplies are liable to VAT? 2 What

More information

SWITZERLAND GLOBAL GUIDE TO M&A TAX: 2017 EDITION

SWITZERLAND GLOBAL GUIDE TO M&A TAX: 2017 EDITION SWITZERLAND 1 SWITZERLAND INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? Swiss tax authorities scrutinise more closely

More information

Audit Protocol for the Private Copying Regulation Version 1 January 2018

Audit Protocol for the Private Copying Regulation Version 1 January 2018 Audit Protocol for the Private Copying Regulation Version 1 January 2018 Introduction This Audit Protocol elaborates on the obligations of the contracting parties by virtue of Article 10 of the Collection

More information

Professional Level Options Module, Paper P6 (ZAF)

Professional Level Options Module, Paper P6 (ZAF) Answers Professional Level Options Module, Paper P6 (ZAF) Advanced Taxation (South Africa) June 2011 Answers Note: The ACCA does not require candidates to quote section numbers or other statutory or case

More information

The collection powers of the Tax Administration

The collection powers of the Tax Administration The collection powers of the Tax Administration Administrative collection process vs enforcement for collection Administrative collection process as effective mechanism for increasing revenues Arie van

More information

LUXEMBOURG GLOBAL GUIDE TO M&A TAX: 2018 EDITION

LUXEMBOURG GLOBAL GUIDE TO M&A TAX: 2018 EDITION LUXEMBOURG 1 LUXEMBOURG INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? Corporate income tax ( CIT ) rate The CIT rate

More information

Professional Level Options Module, Paper P6 (CYP) 1 Memorandum

Professional Level Options Module, Paper P6 (CYP) 1 Memorandum Answers Professional Level Options Module, Paper P6 (CYP) Advanced Taxation (Cyprus) June 2017 Answers 1 Memorandum To: Tax partner From: Tax assistant Date: 31 August 2016 Client: Anna Protos, Protos

More information

Terms of Delivery. General terms of delivery and payment terms of AAA Lab Service B.V., deposited with the Chamber of Commerce on

Terms of Delivery. General terms of delivery and payment terms of AAA Lab Service B.V., deposited with the Chamber of Commerce on Terms of Delivery General terms of delivery and payment terms of AAA Lab Service B.V., deposited with the Chamber of Commerce 67434193 on 27-01-2017. Article 1 Definitions 1. In these terms of delivery,

More information

Doing business in Sweden.

Doing business in Sweden. Doing business in Sweden www.pwc.se/doingbusinessinsweden 1. What type of presence do we need to undertake our operations? 2. What other registration requirements do we need to be aware of? 3. What are

More information

NOVEMBER 2017 EDITION 116. Quoted. Outbound investments: foreign subsidiary or branch?

NOVEMBER 2017 EDITION 116. Quoted. Outbound investments: foreign subsidiary or branch? NOVEMBER 2017 EDITION 116 Quoted Outbound investments: foreign subsidiary or branch? In this edition - Introduction - Conditions for an exemption - The exemption for results from participations and permanent

More information

Object exemption for foreign business profits

Object exemption for foreign business profits Genoteerd December 2012 - Edition 90 Object exemption for foreign business profits Corporate entrepreneurs who invest abroad can do so via a subsidiary company (a participation) or in the form of a branch

More information

Course : B.Com. Semester 1. Module 1 - Accounting Concepts and Conventions

Course : B.Com. Semester 1. Module 1 - Accounting Concepts and Conventions Course : B.Com Semester 1 Module 1 - Accounting Concepts and Conventions Accounting conventions and their importance Generally accepted accounting principles Purpose of financial statements, underlying

More information

Value Added Tax Report. The National Association for Areas of Outstanding Natural Beauty

Value Added Tax Report. The National Association for Areas of Outstanding Natural Beauty Value Added Tax Report The National Association for Areas of Outstanding Natural Beauty Date: 03 August 2018 DRAFT FOR DISCUSSION Page 1 of 10 Contents Page No. 1. Executive Summary 3 2. Introduction 4

More information

Goods and Services Tax INPUT TAX CREDIT September 22, P V SRINIVASAN Corporate Advisor Mobile:

Goods and Services Tax INPUT TAX CREDIT September 22, P V SRINIVASAN Corporate Advisor   Mobile: Goods and Services Tax INPUT TAX CREDIT September 22, 2016 P V SRINIVASAN Corporate Advisor Email: pvs@pvsadvisors.com Mobile: +919845057597 1 Input Tax Credit Key definitions 1. Input : S 2(54): means

More information

EUROPEAN COMMISSION DIRECTORATE-GENERAL TAXATION AND CUSTOMS UNION Indirect Taxation and Tax administration Value Added Tax VEG N O 071 REV2

EUROPEAN COMMISSION DIRECTORATE-GENERAL TAXATION AND CUSTOMS UNION Indirect Taxation and Tax administration Value Added Tax VEG N O 071 REV2 EUROPEAN COMMISSION DIRECTORATE-GENERAL TAXATION AND CUSTOMS UNION Indirect Taxation and Tax administration Value Added Tax VAT Expert Group taxud.c.1(2018)2326098 EN Brussels, 18 April 2018 VAT EXPERT

More information

Innovation Window. Technology Transfer Fund(s) / Accelerator Fund(s). The financial instrument(s) must be established as a closed-end fund.

Innovation Window. Technology Transfer Fund(s) / Accelerator Fund(s). The financial instrument(s) must be established as a closed-end fund. Innovation Window The Innovation Window of the Greek ESIF FoF follows and is complementary to the creation of the newly established Hellenic Foundation for Research and Innovation (ELIDEK) by the General

More information

Setting up your Business in Germany Issues to consider

Setting up your Business in Germany Issues to consider Germany is a federal parliamentary republic in western-central Europe. Germany is the largest consumer market in the European Union with a population of over 81 million. Germany is the world's fourth-largest

More information

Film Financing and Television Programming: A Taxation Guide

Film Financing and Television Programming: A Taxation Guide Film Financing and Television 1 Film Financing and Television Now in its seventh edition, KPMG LLP s ( KPMG ) Film Financing and Television (the Guide ) is a fundamental resource for film and television

More information

Company plan ISME January 20, 2017

Company plan ISME January 20, 2017 ISME Office PO BOX 50 6700 AB Wageningen The Netherlands Tel +31(0)317 473 467 Fax +31(0)317 210138 office@isme-microbes.org www.isme-microbes.org ENGLISH Company plan ISME January 20, 2017 Introduction

More information

Standard Terms and Conditions

Standard Terms and Conditions Standard Terms and Conditions for the performance of services for GasTerra B.V., having its registered office in Groningen Issued on 1 January 2009 1 Contents Article 1 Article 2 Article 3 Article 4 Article

More information

Budget day 2018: The most important changes for the Real Estate (RE) sector

Budget day 2018: The most important changes for the Real Estate (RE) sector Budget day 2018: The most important changes for the Real Estate (RE) sector The Netherlands: September 2018 In Brief On 18 September 2018, the Dutch Ministry of Finance announced a number of important

More information

Setting up your Business in Peru Issues to consider

Setting up your Business in Peru Issues to consider As of the end of 2015, Peru's GDP increased by 3.5% and reached a value of US $ 179,825 million approx.; thus, Peruvian economy completed 14 years of continuous growth. The GDP growth over 2016 and 2017

More information

The Start-up Brief. This FAQ sheet specifically sets out to answer the following questions:

The Start-up Brief. This FAQ sheet specifically sets out to answer the following questions: The Start-up Brief Tax Issues This FAQ sheet forms part of a series prepared by postgraduate students from the University of Manchester s School of Law, in conjunction with the Legal Advice Centre. They

More information

Professional Level Options Module, Paper P6 (ZAF)

Professional Level Options Module, Paper P6 (ZAF) Answers Professional Level Options Module, Paper P6 (ZAF) Advanced Taxation (South Africa) December 2016 Answers Note: ACCA does not require candidates to quote section numbers or other statutory or case

More information

EXPLANATORY MEMORANDUM ON THE DOUBLE TAXATION CONVENTION BETWEEN THE REPUBLIC OF SOUTH AFRICA AND THE REPUBLIC OF MOZAMBIQUE

EXPLANATORY MEMORANDUM ON THE DOUBLE TAXATION CONVENTION BETWEEN THE REPUBLIC OF SOUTH AFRICA AND THE REPUBLIC OF MOZAMBIQUE EXPLANATORY MEMORANDUM ON THE DOUBLE TAXATION CONVENTION BETWEEN THE REPUBLIC OF SOUTH AFRICA AND THE REPUBLIC OF MOZAMBIQUE It is the practice in most countries for income tax to be imposed both on the

More information

OPINION OF MR ADVOCATE GENERAL MISCHO delivered on 14 March 1989 *

OPINION OF MR ADVOCATE GENERAL MISCHO delivered on 14 March 1989 * OPINION OF MR MISCHO CASE C-342/87 OPINION OF MR ADVOCATE GENERAL MISCHO delivered on 14 March 1989 * Mr President, Members of the Court First question 2. The Hoge Raad formulated its first question in

More information

Gap analysis questionnaire

Gap analysis questionnaire Gap analysis questionnaire Belgium Common EU standard VAT return 1. General information (11) Company name Intelligent box (12) VAT identification number: Country code of the relevant EU MS + VAT number

More information

GENERAL TERMS AND CONDITIONS OF SALE OF BAKKER BROTHERS,

GENERAL TERMS AND CONDITIONS OF SALE OF BAKKER BROTHERS, GENERAL TERMS AND CONDITIONS OF SALE OF BAKKER BROTHERS, Gebroeders Bakker Zaadteelt en Zaadhandel B.V. (hereinafter referred to as "B.B.") Address of establishment: Oostelijke Randweg 12, 1723 LH Noord-Scharwoude,

More information

A special report by the Policy Advice Division of Inland Revenue

A special report by the Policy Advice Division of Inland Revenue A special report by the Policy Advice Division of Inland Revenue 23 February 2007 NEW TAX RULES FOR OFFSHORE PORTFOLIO INVESTMENT IN SHARES This report will form the basis of an article to appear in the

More information

June Statement on Conflicts of Interest Policy Kempen Capital Management N.V

June Statement on Conflicts of Interest Policy Kempen Capital Management N.V June 2015 Statement on Conflicts of Interest Policy Kempen Capital Management N.V 1 Introduction 2 Kempen Capital Management N.V. ( KCM ) is fully committed to professionalism and integrity in doing business,

More information

ALBANIA TAX CARD 2017

ALBANIA TAX CARD 2017 ALBANIA TAX CARD 2017 TAX CARD 2017 ALBANIA Table of Contents 1. Individuals 1.1 Personal Income Tax 1.1.1 Tax Rates 1.1.2 Taxable Income 1.1.3 Exempt Income 1.1.4 Deductible Expenses 1.2 Social Security

More information

Tax Memento Luxembourg 2018

Tax Memento Luxembourg 2018 Tax Memento Luxembourg 2018 Corporate Main taxes Corporate Income Tax (CIT) Taxable Income Rate Less than 25,000 15% Between 25,000 and 30,000 Exceeding 30,000 18% 3,750 + 33% of the income exceeding 25,000

More information

Annual report To the management board of International Society for Microbial Ecology located, Wageningen Report on the annual accounts 2017

Annual report To the management board of International Society for Microbial Ecology located, Wageningen Report on the annual accounts 2017 Orteliuslaan 1051 Postbus 8118 5303 RC Utrecht t +31(0)88 5005 100 Ten Kate Huizinga Accountants + Belastingadviseurs N.V. KvK 06038752 www.tenkatehuizinga.nl Annual report To the management board of International

More information

TAX INSIGHT IN THIS ISSUE FIVE WAYS TO IMPROVE THE POSITION. VAUGHAN LISTER

TAX INSIGHT IN THIS ISSUE FIVE WAYS TO IMPROVE THE POSITION. VAUGHAN LISTER PRACTICAL ADVICE FOR BUSINESSES, THEIR OWNERS AND PROFESSIONAL ADVISERS // PAGE 1 FIVE WAYS TO IMPROVE THE POSITION VAUGHAN LISTER vaughan.lister@bdo.co.uk BY VAUGHAN LISTER A Tax Principal with BDO LLP

More information

SETTING UP BUSINESS IN THE NETHERLANDS

SETTING UP BUSINESS IN THE NETHERLANDS www.antea-int.com SETTING UP BUSINESS IN THE NETHERLANDS 1 General Aspects The Netherlands, or Holland, is the gateway to Europe, sharing most of its border with the North Sea, but also bordering Germany

More information

VAT Deduction Exclusion Decree ( DED ) and Private use cars 2016

VAT Deduction Exclusion Decree ( DED ) and Private use cars 2016 VAT Deduction Exclusion Decree ( DED ) and Private use cars 2016 December 2016 www.meijburg.nl 1 Table of Contents 1 Main features and methodology of the DED... 3 2 Staff benefits... 4 2.1 The canteen

More information

Professional Level Options Module, Paper P6 (CYP) 1 Capoda Ltd

Professional Level Options Module, Paper P6 (CYP) 1 Capoda Ltd Answers Professional Level Options Module, Paper P6 (CYP) Advanced Taxation (Cyprus) June 2013 Answers 1 Capoda Ltd (a) To: Laurence, MD Capoda Ltd From: Nicos, Tax Advisor Date: 16 January 2012 Re: Presentation

More information

18 November CEBS s guidelines regarding revised Article 3 of Directive 2006/48/EC

18 November CEBS s guidelines regarding revised Article 3 of Directive 2006/48/EC 18 November 2010 CEBS s guidelines regarding revised Article 3 of Directive 2006/48/EC Table of contents Introduction... 3 Objectives, methodology and scope... 3 Implementation date... 4 Guidelines for

More information

Integrated text of Council Directive 2006/112/EC on the common system of value added tax

Integrated text of Council Directive 2006/112/EC on the common system of value added tax Integrated text of Council Directive 2006/112/EC on the common system of value added tax Title I Subject Matter and Scope Article 1 [Subject] 1. This Directive establishes the common system of value added

More information

Council of the European Union Brussels, 20 June 2018 (OR. en)

Council of the European Union Brussels, 20 June 2018 (OR. en) Council of the European Union Brussels, 20 June 2018 (OR. en) Interinstitutional Files: 2017/0251 (CNS) 2017/0249 (NLE) 2017/0248 (CNS) 10335/18 FISC 266 ECOFIN 638 NOTE From: To: No. Cion doc.: Subject:

More information

Chapter 23. General Provisions. Article 169. Concept of value added tax. Chapter 24. Taxpayers. Article 170. Taxpayers

Chapter 23. General Provisions. Article 169. Concept of value added tax. Chapter 24. Taxpayers. Article 170. Taxpayers DIVISION VII. VALUE-ADDED TAX Chapter 23. General Provisions Article 169. Concept of value added tax The value added tax, hereinafter VAT, is a form of collection to the budget of a portion of the value

More information

Dutch Tax Bill 2019: what will change?

Dutch Tax Bill 2019: what will change? 1 Dutch Tax Bill 2019: what will change? On 18 September 2018, the Dutch government presented a number of tax measures as part of the 2019 budget proposals. The key measures are: Abolition of withholding

More information

Taxation Vietnam (TX-VNM) (F6)

Taxation Vietnam (TX-VNM) (F6) June and December 2018 Taxation Vietnam (TX-VNM) (F6) Syllabus and study guide Guide to structure of the syllabus and study guide Overall aim of the syllabus This explains briefly the overall objective

More information

CHINA GLOBAL GUIDE TO M&A TAX: 2017 EDITION

CHINA GLOBAL GUIDE TO M&A TAX: 2017 EDITION CHINA 1 CHINA INTERNATIONAL DEVELOPMENTS 1. WHAT ARE RECENT TAX DEVELOPMENTS IN YOUR COUNTRY WHICH ARE RELEVANT FOR M&A DEALS AND PRIVATE EQUITY? A couple of tax circulars have been released by the State

More information

financial statements 2017

financial statements 2017 financial statements 2017 1. Consolidated balance sheet 60 18. Provisions 84 2. Consolidated income statement 61 19. Trade and other payables 87 3. Consolidated statement of comprehensive income 62 20.

More information

Additional Practising Regulations for the United Kingdom, Jersey, Guernsey and Dependencies and the Isle of Man

Additional Practising Regulations for the United Kingdom, Jersey, Guernsey and Dependencies and the Isle of Man Additional Practising Regulations for the United Kingdom, Jersey, Guernsey and Dependencies and the Isle of Man Annex 1 to The Chartered Certified Accountants Global Practising Regulations 2003 1. Application

More information

Fundamentals Level Skills Module, Paper F6 (UK)

Fundamentals Level Skills Module, Paper F6 (UK) Answers Fundamentals Level Skills Module, Paper F6 (UK) Taxation (United Kingdom) December 2009 Answers 1 (a) 200506 (1 January 2006 to 5 April 2006) 25,200 x /6 12,600 200607 (1 January 2006 to 1 December

More information

Tax planning for Liechtenstein companies with permanent establishments in Switzerland. Present situation

Tax planning for Liechtenstein companies with permanent establishments in Switzerland. Present situation Bulletin Nr. 23 January 2012 Allgemeines Treuunternehmen since 1929 Tax planning for Liechtenstein companies with permanent establishments in Switzerland Author lic. iur. Ralph Thiede Swiss Certified Tax

More information

The date of this Prospectus is 18 April 2012

The date of this Prospectus is 18 April 2012 The date of this Prospectus is 18 April 2012 Vesteda Residential Funding II B.V. (incorporated with limited liability in the Netherlands) EURO 625,000,000 Class A8 Secured Floating Rate Notes 2012 due

More information

2018 Swiss VAT reform & new VAT registration rules for NPOs

2018 Swiss VAT reform & new VAT registration rules for NPOs Switzerland 2018 Swiss VAT reform & new VAT registration rules for NPOs Agenda 1 2018 VAT registration changes 3 2 9 3 14 4? 16 5 17 2 2018 VAT registration changes 3 Swiss VAT registration Definition

More information

1.1 In these General Terms and Conditions, the terms below will have the following meaning:

1.1 In these General Terms and Conditions, the terms below will have the following meaning: 1 Definitions 1.1 In these General Terms and Conditions, the terms below will have the following meaning: a. Gerco: Gerco Brandpreventie B.V., which has its principal place of business at Vrouwenmantel

More information

Cross-border VAT changes January changes to EC Sales Lists (ESLs) HMRC guidance

Cross-border VAT changes January changes to EC Sales Lists (ESLs) HMRC guidance Cross-border VAT changes 2010 1 January changes to EC Sales Lists (ESLs) HMRC guidance Introduction This HMRC guidance document sets out how the new regime and procedures for ESLs (or recapitulative statements

More information

Examiner s general comments

Examiner s general comments Examiner s general comments The following provides guidance to candidates preparing for future examinations and has been prepared with that in mind. The guidance mentions the main errors that were commonly

More information