On 7 June 2022, Luxembourg and the UK signed a new double tax treaty (the “DTT”) and an additional Protocol which will replace the double tax treaty signed back in 1967 (the “old tax treaty”). The aim of the signature of that new DTT is for the UK and Luxembourg to have a tax treaty that reflect the latest OECD tax standards.
Data and research on tax treaties including OECD Model Tax Convention, Mutual Agreement Procedure Statistics, prevention of treaty abuse., China has deposited its instrument of approval for the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (BEPS Convention). China s instrument of approval also covers Hong Kong (China) s bilateral tax treaties. The Convention will enter into force on 1 September 2022 for China.
Senegal has deposited its instrument of ratification for the Multilateral BEPS Convention, which now covers over 1 820 bilateral tax treaties, thus underlining its strong commitment to prevent the abuse of tax treaties and base erosion and profit shifting (BEPS) by multinational enterprises. The Convention will enter into force on 1 September 2022 for Senegal.
A review of recent corporate tax planning developments in Austria, including with regard to entity selection and business operations, intercompany transactions and indirect taxes.
A review of recent corporate tax planning developments in Netherlands, including with regard to entity selection and business operations, intercompany transactions and indirect taxes.