Below is a list of the countries with which the Netherlands has double taxation agreements. Countries with which the Netherlands is currently negotiating double taxation agreements: residents and most non-residents are entitled to the exemption from double taxation through unilateral discharge provisions or tax treaties. If you are an Australian company interested in expanding in Europe, please contact us. More information about this data is available in the summary texts developed for individual contracts (if any). The geographical location of the Netherlands, the recognized role as a logistics hub in Europe and the corporate tax system make the Netherlands an attractive base for Australian companies wishing to do business in Europe. 5 The EOI`s jurisdictions are listed in the 2017 regulations r 34 2 of the Taxation Administration. Their entry into force was notified on 10 January 2019, in accordance with Section 4A. The reason for this is the Cash Agreement on Australia`s Income Tax Act 2018.1 Australia`s income tax agreements are subject to the 1953 International Tax Act. The agreement between the Australian Bureau of Trade and Industry and the Taipei Economic and Cultural Office on the prevention of double taxation and the prevention of income tax evasion is a less treaty-compliant document, adopted as Schedule 1 of the International Tax Agreements Act of 1953. When information is available electronically, hyperlinks have been inserted to the applicable sources. To access the corresponding English texts, click on the official title of the link contract on the information page of the Australian Contracts Database.

4 The tax authorities of some Australian contractors have agreed to write summary texts to help the public better understand the impact of MLI. The Australian Tax Office is responsible for drafting summary texts on behalf of Australia. The sole purpose of a synthesized IU text and a bilateral tax treaty is to facilitate an understanding of the application of the IML to the bilateral tax treaty. A synthesized text is not a legal source. The authentic legal texts of the bilateral tax treaty and the MLI prevail and remain the applicable legal texts. 3 This is the second of two dates on which the multilateral instrument enters into force for each of the two contractors. Once in force, the multilateral instrument will come into force for each contractor as follows: One of the main attractions of your activity in the Netherlands is the business-friendly tax system. Below is our summary of the main features: .

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