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  1. From transfer pricing policy to VAT exposure: the Stellantis wake-up call

    The European Court of Justice (ECJ) added a crucial piece to the puzzle. The Stellantis Portugal ruling closes one door and opens three others. Here is what multinational groups need to understand and

    Wooden judge's gavel on flag
    Wooden judge's gavel on flag
  2. Transfer pricing aspects of cash pooling arrangements

    Cash pooling arrangements are principally commercial arrangements with a third party bank and not to be entered into for tax reasons. There is however guidance on the transfer pricing.

    Transfer pricing
    Transfer pricing
  3. New EU charges on low-value imports: fixed customs duty and proposed handling fee

    The EU is introducing new charges on small import consignments from outside the EU, with implications for companies’ costs, logistics and pricing strategies.

    New EU charges on low-value imports
    New EU charges on low-value imports
  4. The impact of Pillar 2 rules and the side-by-side framework: Are companies considering redomiciling to the US?

    Pillar 2 and the new side-by-side system may make the US a more attractive jurisdiction for multinational companies considering redomiciliation.

    The impact of Pillar 2 rules and the side-by-side framework:  Are companies considering redomiciling to the US?
    The impact of Pillar 2 rules and the side-by-side framework:  Are companies considering redomiciling to the US?
  5. The Dutch Innovation Box: Why multinationals and tech-driven groups should take it seriously

    The Dutch innovation box is seen as a tax benefit, an arbitrage unlocked through intellectual property. But in today’s governance and risk environment, it is far more than that.

    The benefits of the Dutch Innovation Box
    The benefits of the Dutch Innovation Box
  6. Why now is the moment to revisit transfer pricing and your value chain

    For many executives, transfer pricing still feels like a compliance topic. Important, but secondary to strategy. That perception is increasingly outdated.

    Revisit transfer pricing now
    Revisit transfer pricing now
  7. Pillar 2: the illusion of certainty. How multinationals can prepare for a tax world that won’t stand still

    For boards and executives, global tax has crossed a line. Pillar 2, ATAD 2 and public Country-by-Country Reporting are no longer “technical tax matters”.

    How multinationals can prepare for a changing tax world
    How multinationals can prepare for a changing tax world
  8. A sick employee in a cross-border context: potential pitfalls

    Cross-border working is becoming increasingly common. Within the European Union, various rules govern cross-border employment. But issues can still arise in practice when an employee falls ill.

    A sick employee
    A sick employee
  9. Doing business in the Netherlands 2026: a practical guide for international businesses

    Planning to do business in the Netherlands? Download our 2026 guide and discover key legal, tax and business insights for international entrepreneurs.

    doing business in the netherlands
    doing business in the netherlands