Werner Heyvaert and Vicky Sheikh Mohammad contribute to the 2021 Summer Edition of Insights

 July 28, 2021 | Publication | BE Law

The 2021 Summer Edition of Ruchelman P.L.L.C.’s newsletter, Insights, publishes an exhaustive treatise on the use of European holding companies, with a strong focus on the interplay between the various European holding company jurisdictions and the U.S., as part of an overall tax plan for European expansion by U.S. companies.

The 2021 Summer Edition of Insights addresses a broad range of impediments that must be overcome in planning cross-border operations. It is a treatise that addresses corporate tax planning for European expansion in a changing landscape that is 2021.

Werner Heyvaert and Vicky Sheikh Mohammad wrote the Belgium chapter of the 2021 edition, focusing on the Belgian company as a holding company, but under certain circumstances, a Belgian branch of a foreign company could be a valuable alternative. Recent international initiatives, such as the OECD’s BEPS action plan and the E.U.’s ATAD I and II are dealt with in this edition.

Click here to read the 2021 Summer Edition of Insights.

© Practising Law Institute. Reprinted from the PLI Publication, The Corporate Tax Practice Series 2021 (Item #304752).

The 2021 Summer Edition of Ruchelman P.L.L.C.’s newsletter, Insights, publishes an exhaustive treatise on the use of European holding companies, with a strong focus on the interplay between the various European holding company jurisdictions and the U.S., as part of an overall tax plan for European expansion by U.S. companies.

The 2021 Summer Edition of Insights addresses a broad range of impediments that must be overcome in planning cross-border operations. It is a treatise that addresses corporate tax planning for European expansion in a changing landscape that is 2021.

Werner Heyvaert and Vicky Sheikh Mohammad wrote the Belgium chapter of the 2021 edition, focusing on the Belgian company as a holding company, but under certain circumstances, a Belgian branch of a foreign company could be a valuable alternative. Recent international initiatives, such as the OECD’s BEPS action plan and the E.U.’s ATAD I and II are dealt with in this edition.

Click here to read the 2021 Summer Edition of Insights.

© Practising Law Institute. Reprinted from the PLI Publication, The Corporate Tax Practice Series 2021 (Item #304752).

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