maandag, november 20, 2017
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Tag: Belastingverdrag

Vistra: Veranderingen in de Frans-Luxemburgse belastingverdrag

signatu

The answer is NO. Actual situation The actual French-Luxembourg tax treaty is an old treaty which contains a favourable capital gain taxation article. As a result most French real estate acquisitions are structured in the way whereby the French real estate is acquired by a French company which is owned by a Luxembourg holding company. The disposal of the French real estate entity by the Luxembourg holding company is exempt from French and Luxembourg capital gain tax. Amendment of the French-Luxembourg Tax Treaty The French and Luxem... Lees Meer »

Malta – Oekraïne Belastingverdrag

partner

The main points of the Treaty are summarised as follows: Withholding Tax: Dividends: Tax that may be levied at source on dividends paid to a company (other than a partnership) that holds directly at least 20% of the capital of the distributing company - 5% in all other cases - 15% Interest: A 10% tax may be levied at source, with certain specific instances qualifying at 0% Royalties: A 10% tax may be levied at source. Not compromised in the term are payments for the use of, or the right to use, industrial, commercial or sci... Lees Meer »

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