De ontwikkelingen op het gebied van nationale en internationale fiscale wet- en regelgeving volgen elkaar in hoog tempo op. Onze multidisciplinaire tax specialisten houden u daarom via onderstaande blogs op de hoogte van de laatste stand van zaken binnen de Nederlandse en internationale fiscale praktijk belastingsystemen. De blogs zijn beschikbaar in het Engels.
Legislative proposal for Dutch Qualification Policy for Legal Forms
6 July 2021
On 23 April 2021, we published a News Update
on the Internet consultation for the Dutch Tax Qualification Policy for Legal Forms Act (Wet aanpassing fiscaal kwalificatiebeleid rechtsvormen
, “Legislative Proposal
On 2 June 2021, the Dutch State Secretary of Finance announced that amending the Dutch qualification of mutual funds (“MFs
”, fonds voor gemene rekening
) is no longer part of the Legislative Proposal. The Dutch State Secretary of Finance believes the previously proposed changes to MFs would severely impact institutional investors (e.g. pension funds and insurers) aiming to diversify their investment risks and further investigation is required to come up with a new proposal for MFs.
The Dutch FBI (fiscale beleggingsinstelling
) and the VBI (vrijgestelde beleggingsinstelling
) – which are commonly used by institutional investors through MFs – is expected to be evaluated in the first three months of 2022. The Dutch State Secretary of Finance has therefore proposed to make any amendment to the tax qualification of a MF in conjunction with the evaluation's outcome.
Finally, the Dutch State Secretary of Finance announced earlier that the Legislative Proposal for the Dutch Qualification Policy for Legal Forms Act is no longer part of the Budget Day 2021 proposals. The Legislative Proposal on the tax classification of limited partnerships (commanditaire vennootschap
) will be submitted to the House of Representatives this winter.
We will keep you informed of any further developments through this dedicated Houthoff Tax blog.
Political agreement reached on proposed country-by-country reporting Directive
3 June 2021
On 1 June 2020, representatives of the Portuguese presidency of the Council reached political agreement
with the European Parliament’s negotiating team on the proposed directive on the disclosure of corporate income tax ("CIT
") information by certain undertakings and branches, commonly referred to as the public country-by-country reporting ("CbCR
Bill on the introduction of a conditional withholding tax on dividends (Wet invoering conditionele bronbelasting op dividenden)
26 March 2021
On Thursday 25 March 2021, the State Secretary for Finance submitted the Bill on the introduction of a conditional withholding tax on dividends (Wet invoering conditionele bronbelasting op dividenden
or the "Bil
l") to the Dutch parliament. The Bill will combat tax avoidance and excessively aggressive tax planning. The government had already announced in its 2021 Tax Plan (see our 2021 Budget Day specials of 15 September
and 8 October 2020
) that it intended to introduce a conditional withholding tax on dividends paid to entities or permanent establishments in certain designated low-tax jurisdictions (i.e. a statutory tax rate of less than 9%) and non-cooperative. The withholding tax would only apply to the extent that the recipient owns a qualifying interest in the entity distributing the dividend and also cover abusive arrangements. This controlling interest typically exists when the recipient of the dividends can exercise control over the distributing entity (e.g. through holding 50% of the statutory voting rights). The government announced that the conditional dividend withholding tax would apply in addition
to the pre-existing regular dividend withholding tax of 15% (if applicable).
Bill on a Conditional Dividend Withholding Exit Tax (Spoedwet conditionele eindafrekening dividendbelasting)
15 December 2020
On Friday 11 December, several members of the House of Representatives asked questions about the Bill on a Conditional Dividend Withholding Exit Tax (Spoedwet conditionele eindafrekening dividendbelasting or the "Bill"). Many concerns about the Bill's compatibility with EU and tax treaty law were expressed, particularly by the coalition parties (e.g. VVD and CDA). As a result, it remains to be seen whether the Bill will have enough support in the House of Representatives.