Found insideIn this book, three ardent followers sagely outline Bogle's approach that has benefited millions and will benefit millions more." —Richard Ferri, CFA, President, Portfolio Solutions LLC author of The ETF Book: All You Need to Know About ... Found inside – Page 116... ( such as an N . V . parent ) which qualifies under a Dutch treaty for elimination of the 25 % withholding tax on dividends and ( ii ) obtain a " participation exemption " from Dutch tax authorities to exempt the Dutch company from Dutch taxes on ... Found inside – Page 129UK taxes should 2 : ENTERPRISE UK not be payable on the dividends received from GmbH since the overall rate of ... lend Withholding tax deducted therefrom 5 Art 26 ( 1 ) ( a ) back the dividend proceeds to GmbH , the UK / Netherlands ... Found inside – Page 166THE FACTS O n June 27 , 1974 Dutch Company A requested the refund of withholding tax which it had paid to the Dutch Treasury with respect to dividends distributed in the years 1969 through 1974 to a resident of France . Since under the ... In this paper it is argued that in a system of widespread managed floating, as in a par value system with occasional floating, the problem of asymmetry of adjustment between the issuers of the principal intervention currencies and other ... This Selected Issues paper on Kenya reviews Kenya’s external stability in a context where the exchange rate has strengthened and capital inflows are playing an increasingly important role. This report examines the practices of Member countries with regards to tax sparing and explains why Member countries have become more reluctant to grant tax sparing in treaties. Found insideTax competition in the form of harmful tax practices can distort trade and investment patterns, erode national tax bases and shift part of the tax burden onto less mobile tax bases. Found insideThe first section of this report reviews what countries might be considered tax havens, including a discussion of the Organization for Economic Development and Cooperation (OECD) initiatives and lists. This book is the first in-depth study to analyze the circumstances in which the freedom of establishment or free movement of capital may apply to the cross-border distribution of dividends. Found inside – Page 460of withholding taxes, collective requests for fiscally transparent foreign entities with regard to a refund of Netherlands dividend withholding tax, ... Found inside – Page 320The Netherlands Antilles tax on the dividend income will not exceed 3 percent ; moreover , in limited circumstances it ... This potential for reducing the dividend withholding taxes at the source under the Dutch tax treaties and for eliminating the ... This volume provides a comprehensive, step-by-step plan that simplifies the myriad complexities surrounding the formation and incorporation of branch offices and subsidiary companies within such tax havens as the Bahamas, Bermuda, the ... All of the transfer pricing cases discussed in the book are linked to the relevant paragraphs of the OECD Guidelines by means of a 'Golden Bridge', namely a table listing the cases according to the paragraphs of the Guidelines to which they ... Moreover, the relationship between GAARs and SAARs, as well as tax treaties and EU law requirements, are given much attention. A further objective of this book is to shed light on recent European developments and on alternatives to GAARs." This 2017 report sets out recommendations for branch mismatch rules that would bring the treatment of these structures into line with the treatment of hybrid mismatch arrangements as set out in the 2015 Report on Neutralising the Effects of ... Bilateral tax treaties are often, to a greater or lesser extent, based on the OECD Model Convention. Found inside – Page 9If the Netherlands permanent establishment of a foreign company receives dividends which meet the requirements for the " participation exemption " ( see Sec . A ) , these dividends are exempt . A dividend withholding tax ( dividendbelasting ) ... Found inside"Taxation of Intercompany Dividends under Tax Treaties and EU Law, comprising the proceedings and working documents of an annual seminar held in Milan on 1 October 2011, is a detailed and comprehensive study on the taxation of cross-border ... This book examines the taxation of Undertakings for the Collective Investment in Transferable Securities (UCITS) in Austria, Germany, the Netherlands, and the United Kingdom. This volume gives a complete overview of the corporate tax system in 101 jurisdictions throughout the world. Found inside – Page 1This paper reviews the rapidly growing empirical literature on international tax avoidance by multinational corporations. "The first edition of this book was published in June 2010. Found insideAgainst this background, this volume provides policymakers, academics, and the public with valuable information about policies and institutions in China today. Found inside – Page 13Dividend income from the Netherlands in general is subject to a Dutch withholding tax on gross of 15 percent , while the net amount is taxed in the Netherlands Antilles at the 2 . 4 percent / 3 percent tax rates . Finance Companies The main ... This book, which was written for the Comparative Dutch Caribbean and Latin American Tax Law course of the Double Degree Program in International and European Tax Law of the Universities of Maastricht and Aruba, focuses on providing the ... This latest release of Foreign Tax & Trade Briefs - International Witholding Tax Treaty Guide provides the withholding tax rates for more than 1,800 treaties, worldwide, paid on: • Interest on foreign loans • Dividends • Royalties • ... This is all the more true now that the OECD has introduced a number of new provisions regarding the entitlement to tax treaties into its Model Convention as part of the BEPS Project."--Page four of cover. Found inside"The purpose of this book, then, is to give you an understanding of the concepts that underlie international tax law and double tax treaties by providing an insight into how international tax policy, law and practice operate to ultimately ... The book provides an excellent comprehensive analysis of the different forms of corporate taxation in Luxembourg. Compilation of studies in the field of international taxation in United States bilateral tax treaties with other countries (the United Kingdom, France, Germany and Japan) as well as a description of structure and operation of tax treaties ... Although this is a direct result of Switzerland's revised position regarding exchange of information, a number of contracting states have taken this opportunity to modify tax treaty benefits and/or clarify certain aspects of tax treaty ... Found inside – Page 20232 The N . A . treaty is utilized because it modifies U . S . or Netherlands Antilles law in three ways of significance to real estate investors . 33 1 ) The Netherlands Antilles treaty imposes no withholding tax on dividends paid by an N . A ... 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