Introduction
When considering an investment into a country, consideration has to
be given to the taxation received in the form of dividends, interest
and royalties, as well as any possible capital gains tax that might
arise on the disposal of such an investment. Further consideration has
to be extended to tax deferral issues and utilisation of losses. Many
European Union member states offer Holding Company regimes that are
generally favourable with regards to the treatment of foreign sourced
income and most have extensive double taxation treaty agreements. Within
this section we provide a country by country summary, key elements and
a synopsis of the treaty networks.
Should you require more information please contact one of the European
offices
most convenient to you or fill in the questionnaire
and a senior consultant will contact you shortly.
Country by country summaries
» Austria
» Belgium
» Cyprus
» Denmark
» Estonia
» Ireland
» Luxembourg
» Madeira
» Malta
» Netherlands
» Slovakia
» Spain
» Sweden
» Switzerland
» UK
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