You are here:
24 July 2018 / news

The Timing and Impact of the MLI

The MLI project of the OECD has reached an milestone; due to the entry into force of the MLI for the five frontrunner jurisdictions on 1 July 2018.

European Commission scrutinises competition issues in bank loan syndication

Being one of the most revolutionary aspects of the BEPS project, the MLI will modify a large number of existing bilateral tax treaties by including anti-tax avoidance measures developed in the BEPS project. When is the MLI a reality? And for what countries and tax treaties? And what does this mean in practice?

Lukkien, M., & De Gier, H. (2018). The Timing and Impact of the MLI—Countries’ Perspective. Tax Planning International European Tax Service Bloomberg BNA, 1-5. 

Downloads



flash-tax-interest-deduction

Issuance of a circular on interest deduction limitation rule

The long-awaited guidance notably clarifies the notion of borrowing costs and the grandfathering rule for loans predating 17 June 2016. read more

EU Tax Alert - December 2020

The EU tax alert will inform you of recent developments in EU tax law. read more

Comments on the OECD’s Pillar 1 and Pillar 2 reports

OECD/G20 Inclusive Framework launched a public consultation document in relation to the released Reports on the Pillar One and Pillar Two Blueprints read more
Stay informed

Don't miss out. Stay up to date about our latest news and events.

Stay informed