Luxembourg Tax Alert
Luxembourg Tax Alert
KPMG's Luxembourg Tax Alert is a regular newsletter which covers the latest tax developments affecting Luxembourg
2023
- Luxembourg Tax Alert 2023-20 TP case-law: No more VAT on director’s fees
- Luxembourg Tax Alert 2023-19 Everything you need to know for 2024
- Luxembourg Tax Alert 2023-18 Amended Pillar Two Global Minimum Tax Bill Published
- Luxembourg Tax Alert 2023-17 Flat minimum net wealth tax partly declared unconstitutional
- Luxembourg Tax Alert 2023-16 Temporary reduced Luxembourg VAT rates are back to normal in 2024
- Luxembourg Tax Alert 2023-15 Unraveling the recent Luxembourg constitutional challenge: Minimum net wealth tax in spotlight
- Luxembourg Tax Alert 2023-14 Luxembourg administrative court nullifies a tax ruling due to change in the situation of taxpayer
- Luxembourg Tax Alert 2023-13 EU Proposals to Harmonize TP Rules and Corporate Tax Bases of Large Groups
- Luxembourg Tax Alert 2023-12 VAT and company cars: Belgian circular published!
- Luxembourg Tax Alert 2023-11 Draft Law Implementing Pillar Two Global Minimum Tax
- Luxembourg Tax Alert 2023-10 New Bill to Modernize the Investment Tax Credit
- Luxembourg Tax Alert 2023-09 AG Kokott opinion released in the Luxembourg TP case
- Luxembourg Tax Alert 2023-08 Payment services providers VAT legal package
- Luxembourg Tax Alert 2023-07 Luxembourg administrative court judgment on U.S. branches
- Luxembourg Tax Alert 2023-06 Guidelines for Reverse Hybrid Entities in Luxembourg
- Luxembourg Tax Alert 2023-05 Luxembourg Tax Authorities update DAC6 FAQ
- Luxembourg Tax Alert 2023-04 New EU directive aims to decrease the pay gap through transparency
- Luxembourg Tax Alert 2023-03 New bill on Transfer Pricing multilateral procedures, administrative procedure and tax reclaims
- Luxembourg Tax Alert 2023-02 Luxembourg Bills on Public Country-by-Country Reporting and New Luxembourg-United Kingdom Double Tax Treaty
- Luxembourg Tax Alert 2023-01 Payment services providers VAT legal package
2022
- Luxembourg Tax Alert 2022-14 Everything you need to know for 2023!
- Luxembourg Tax Alert 2022-13 Luxembourg 2023 Budget Law and EU Minimum Taxation Directive agreement
- Luxembourg Tax Alert 2022-12 The CJEU annuls EU Commission decision on Luxembourg FIAT transfer pricing ruling
- Luxembourg Tax Alert 2022-11 Preparing for the VAT rates change: important points to consider
- Luxembourg Tax Alert 2022-10 New ECJ case-law on the notion of granting of credit
- Luxembourg Tax Alert 2022-09 Luxembourg Government Presents the 2023 Budget Bill
- Luxembourg Tax Alert 2022-08 New temporary VAT rates in Luxembourg
- Luxembourg Tax Alert 2022-07 Tax fines related to the reporting obligation under the Real Estate Levy
- Luxembourg Tax Alert 2022-06New UK-Luxembourg double tax treaty signed on 7 June 2022
- Luxembourg Tax Alert 2022-05 Luxembourg tax authorities issue DAC6 FAQ
- Luxembourg Tax Alert 2022-04 Luxembourg supreme court clarifies important tax concepts
- Luxembourg Tax Alert 2022-03 EU securitization vehicles in scope of Luxembourg interest limitation rules as from 2023
- Luxembourg Tax Alert 2022-02 New Circular on Real Estate Levy
- Luxembourg Tax Alert 2022-01 Italian court grants withholding tax refund to a Luxembourg SICAV UCITS
2021
- Luxembourg Tax Alert 2021-10 New EU Directives: Pillar Two and Shell Entities
- Luxembourg Tax Alert 2021-09 Everything you need to know for 2022
- Luxembourg Tax Alert 2021-08 Revised EU list of non-cooperative jurisdictions
- Luxembourg Tax Alert 2021-07 New CJEU input on management of investment funds!
- Luxembourg Tax Alert 2021-06 Danske Bank (C-812/19): confirmation of the principles applicable in Skandia
- Luxembourg Tax Alert 2021-05 Luxembourg provides guidance on mutual agreement procedures
- Luxembourg Tax Alert 2021-04 Deduction of certain payments to “blacklisted countries” limited as of 1 March 2021
- Luxembourg Tax Alert 2021-03 Extension of deadlines for filing tax returns – draft law published!
- Luxembourg Tax Alert 2021-02 Rejection of withholding tax reclaim due to insufficient proof of beneficial ownership
- Luxembourg Tax Alert 2021-01 Luxembourg circular on interest limitation rules
© 2024 KPMG Luxembourg, Société anonyme, with registered office at 39, Avenue John F. Kennedy, L-1855 Luxembourg, registered with RCS Luxembourg under number B149133, and a member firm of the KPMG global organization of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved.
For more detail about the structure of the KPMG global organization please visit https://kpmg.com/governance.