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Netherlands Supreme Court holds that dividend withholding tax on distributions to Luxembourg minority shareholder incompatible with free movement of capital

16 January 2008

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Approved Changes

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Netherlands

On 30 November 2007, the Dutch Supreme Court decided a case (No. 42679) on the compatibility of the imposition of withholding tax on dividend distributions by a Netherlands limited liability company (BV) to a Luxembourg minority shareholder (SARL). (a) Facts. The taxpayer is a Luxembourg company (SARL), which owned a 2.25% shareholding in a Netherlands company (BV) that in turn headed a group of holding companies, which was being dissolved. In 2001 and 2003, the SARL received dividend payments from the BV on which a 15% dividend withholding tax was withheld based on Art. 10(2)(b) of the Luxembourg-Netherlands income and...