DutchNews, January 24,
2019
Some 60% of company royalties passing through the Netherlands are sent on
directly to Bermuda, the government’s macro-economic think tank CPB said in a
new report on Thursday.
In total, some €4,200bn was parked in shell and other
companies in 2016, almost six times Dutch GDP, the organisation said. If the
Netherlands really wants to tackle this, it must do more than set down in the
coalition agreement, a spokesman told broadcaster NOS.
The Netherlands has
already said it will tighten up its rules for granting advance tax rulings and
says no rulings will be granted if a tax structure involves a tax haven or if
the purpose of the ruling is essentially to avoid Dutch or foreign taxes.
The
Netherlands has also announced plans to introduce a withholding tax on interest
and royalty payments made to companies where corporate taxes are 9% or less.
This will close off the Bermuda route but will not affect Ireland, Switzerland
and Luxembourg as destinations, the CPB points out.
Effective tax rate
The CPB
suggests that effective tax rate in such countries be used as a basis instead.
Research by European green parties published last week showed that companies in
the Netherlands realistically pay some 10% tax on their profits, when the
actual corporate taxation rate is 25%.
‘To combat tax avoidance effectively,
international coordination for tax regulations is essential because the Netherlands
is just one link in a complex financial chain,’ the organisation said.
At the
end of last year, the Dutch finance ministry expanded its official list of
places it considers to be involved in tax evasion by a further 16 low tax jurisdictions, including the islands of Guernsey and Jersey, the Isle of Man,
and Belize.

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