The Netherlands announces additional measures to be introduced by 2024 related to dividend payments to low-tax jurisdictions or jurisdictions on EU list of non-cooperative jurisdictions

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EY Global

29 May 2020 PDF
Subject Tax Alert
Categories Corporate Tax
Jurisdictions European Union Netherlands

Executive summary

On 29 May 2020, the Dutch Government announced a conditional withholding tax on dividend payments (ultimately) to shareholders resident in low-tax jurisdictions or jurisdictions included on the European Union’s (EU) list of non-cooperative jurisdictions (EU List)1 by 2024. The Government aims to publish draft legislation before the end of its term, which is March 2021. This announcement is part of the Government’s ongoing efforts to combat (international) tax evasion.

Detailed discussion

Dutch dividend withholding tax

Currently, dividend payments to entities in low-tax jurisdictions with which the Netherlands does not have a tax treaty are subject to a 15% Dutch dividend withholding tax. In addition, the Dutch dividend withholding tax exemption contains certain anti-abuse rules that deny the exemption if the arrangement is considered abusive.

Announced conditional withholding tax

As part of the 2019 Budget Proposals, the Government decided to maintain the withholding tax on dividend payments, including its broad domestic exemptions. At the same time, the Government announced it would reconsider whether a conditional withholding tax on dividends would be necessary in due course. After further review of dividend flows via the Netherlands, the Government has deemed additional measures necessary against dividend payments to shareholders in low-tax jurisdictions or jurisdictions on the EU List. This conditional withholding tax is in addition to the conditional withholding tax on interest and royalty payments to group companies in low-tax or blacklisted jurisdictions per 2021.2

The Government aims to publish draft legislation before the end of its term, which is March 2021. As the rules shall not be enacted before 2024, this should give businesses sufficient time to consider the impact of the conditional dividend withholding tax.

Further Alerts will report on developments regarding this announcement.

For additional information with respect to this Alert, please contact the following:

Ernst & Young Belastingadviseurs LLP, International Tax and Transaction Services, Amsterdam
  • Danny Oosterhoff
  • Dirk Stalenhoef
Ernst & Young Belastingadviseurs LLP, International Tax and Transaction Services, Rotterdam
  • Michiel Swets
Ernst & Young LLP (United States), Netherlands Tax Desk, New York
  • Simone Admiraal
  • Rik Jansen
  • Tim Clappers
  • Annelien Dessauvagie
  • Max t Hart
Ernst & Young LLP (United States), Netherlands Tax Desk, Chicago
  • Sebastiaan Boers
  • Martijn Bons
Ernst & Young LLP (United States), Netherlands Tax Desk, San Jose/San Francisco
  • Dirk-Jan (DJ) Sloof
  • Laura Katsma
Ernst & Young (China) Advisory Limited, Netherlands Tax Desk, Beijing
  • Yee Man Tang
Ernst & Young Tax Services Limited, Netherlands Tax Desk, Hong Kong
  • Miranda Baas
  • Joost Huisman
Ernst & Young LLP (United Kingdom), Netherlands Tax Desk, London
  • Randall Hornberger
  • Celeste Krens

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