Topics discussed will include: 

  • new Dutch tax entity classification rules that will reduce hybrid mismatches in an international context.
  • relaxation of the Dutch conditional withholding tax rules that are relevant for US asset managers with a Dutch investment platform.
  • implementation of the Pillar Two rules in the subject-to-tax-tests in the Dutch participation exemption and the interest deduction limitation rules.
  • positive changes to the earnings stripping rules and other proposals relevant for US clients.  

Date and time

Tuesday October 8, 2024, 10:00 - 11:00 AM (ET)