Germany’s Bundesrat has given the green light to the Act to Strengthen Growth Opportunities, Investment and Innovation as well as Tax Simplification and Fairness (“Growth Opportunities Act”) passed by the German Federal Parliament on February 23. The act bundles a number of balance sheet tax measures in to order to improve company liquidity, provide tax incentives for innovation, and steps to reduce red tape for SMEs. The measures foreseen in the revised EUR 3.2 billion tax relief package approved by the upper house will improve the framework conditions for investment and innovation in #Germany.
Germany Trade & Invest’s Post
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On Budget Day 2024, the plans for the coming year were announced. We list the most important (tax) proposals aimed at businesses, both national and international, and trade. What might change for you?
Budget Day 2024: measures for business and trade - Forvis Mazars - Netherlands
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Participation exemption finally introduced and a long-awaited review of the taxation, and deductibility, of interest expenses by companies in Ireland. Both welcome moves towards simplicity in an increasingly complex tax landscape. #budget2025 #deloittetax
Budget 2025 : Foreign Direct Investment & Ireland Inc | Deloitte Ireland
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A helpful and up to date guide on the progress of a significant global tax reform. The pace of adoption would appear to be picking up, albeit some big economies (ie: US) and some emerging big economies (ie: India) remain absent.
Countries worldwide are implementing the global minimum tax under Pillar Two. Check out BDO’s implementation tracker, which provides near real-time updates on the progress made.
Status of implementation around the world
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In the wake of international tax reforms, Budget 2025 and Finance Bill 2024 aim to streamline corporate tax for businesses. A standout feature is the introduction of a participation exemption for foreign dividends, poised to bolster Ireland's investment appeal and ease tax compliance. Dive into PwC Ireland's latest insight from Peter Reilly to understand these pivotal changes and their potential benefits for your business.
What will Budget 2025 mean for corporate tax?
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In the wake of international tax reforms, Budget 2025 and Finance Bill 2024 aim to streamline corporate tax for businesses. A standout feature is the introduction of a participation exemption for foreign dividends, poised to bolster Ireland's investment appeal and ease tax compliance. Dive into PwC Ireland's latest insight from Peter Reilly to understand these pivotal changes and their potential benefits for your business.
What will Budget 2025 mean for corporate tax?
pwc.smh.re
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Interested by the US market? What about tax considerations? Inadequate preparation can lead to increased and unanticipated tax costs, and ultimately impact the overall success of U.S. operations. Enterprise Europe Brussels & BECI invites Brussels SME’s to follow this webinar on 18th April for building their capacity to be successful on this market. #internationalisation #tax #EENCanHelp #export https://lnkd.in/evmM8hAy
Webinar "Doing business in the United States: what you need to know about tax considerations for international companies" - Enterprise Europe Brussels
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In this month’s blog discover the opportunities and advantages of tax jurisdictions in Ireland, the United Kingdom, and the Netherlands! Read how you can unlock your business growth potential, attract global investment, and tap into favourable tax incentives. Click here: https://lnkd.in/eZVmATgV Contact our specialist team today to find out more about how these strategic jurisdictions can enhance your company's success. 📧 info@vantru.com 🌐 www.vantru.com #VANTRU #TaxLaws #TaxJursidictions #NavigatingTax #FinancialManagement #GlobalTaxation
Discover the opportunities and advantages of choosing Ireland, the United Kingdom or The Netherlands as your preferred tax jurisdiction - Vantru
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In the wake of international tax reforms, Budget 2025 and Finance Bill 2024 aim to streamline corporate tax for businesses. A standout feature is the introduction of a participation exemption for foreign dividends, poised to bolster Ireland's investment appeal and ease tax compliance. Dive into PwC Ireland's latest insight from Peter Reilly to understand these pivotal changes and their potential benefits for your business.
What will Budget 2025 mean for corporate tax?
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🐦⬛ Tax-related issues are one of the most important aspects of running a business. And what does the situation look like in Poland in this respect? Who can count on relief and who has to pay higher taxes? Let's explain the key terms: ➡️Value of Tax Exemption. Tax exemptions, ranging from 10% to 70% of eligible costs, are based on regional aid intensity and enterprise size. ➡️Decision on Investment Support. Tax exemptions are granted through administrative decisions specifying the investment location, eligible activities, and validity periods of 10 to 15 years. ➡️ R&D Tax Relief. R&D tax relief allows businesses to recover 19% of R&D expenses, including salaries and materials, through additional tax deductions. ➡️ IP Box. The IP Box tax credit provides a 5% tax rate on income from qualified intellectual property rights to encourage innovation. The Polish Investment Zone offers a unique opportunity by providing income tax exemptions for new investments, regardless of location. However, it is essential to carefully calculate the benefits of utilising these opportunities. Special Economic Zones are an excellent choice for companies with budgets exceeding several million zlotys and those undertaking greenfield and brownfield investments. The advantages are relatively less beneficial for smaller organisations. If you have any questions, I am here to answer them personally or in the comments. #businessdevelopment #strategi #ledelse #sales
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On 12 September 🗓 , the European Commission adopted a Directive Proposal on Transfer Pricing. This proposal is part of the package known as Business in Europe: Framework for Income Taxation (BEFIT). 📑 Read the critical analysis of the European Commission's Directive Proposal on Transfer Pricing, provided by our Tax Partner & Head of Transfer Pricing, Oliver R. Hoor, in this article edited by Tax Notes, which provides an overview of the Directive Proposal, considers its purported purpose, and analyses its numerous issues. 📄 📲 https://lnkd.in/eDc7wbju #befit #proposal #transferpricing #EU #tax #Luxembourg #insights #sharing #ATOZ
A Critical Analysis of the European Commission’s Directive Proposal on Transfer Pricing
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