International structures do not fail at inception. They fail when the underlying tax analysis has not kept pace with changes in law, structure, or business.
International Tax
We advise businesses and individuals on the international dimensions of their Dutch and cross-border tax position. Our work covers tax treaty interpretation and entitlement, the prevention of double taxation, permanent establishment risk analysis and the structuring of inbound and outbound investments. We also advise on BEPS-related legislation, including the Dutch implementation of Pillar Two, ATAD, CFC rules and hybrid mismatch provisions, as well as substance requirements that are increasingly subject to scrutiny by Dutch and foreign tax authorities.

What we do?
- Tax treaty analysis, including entitlement and tie-breaker provisions
- Permanent establishment risk assessment, prevention and profit attribution
- Inbound and outbound investment structuring
- Pillar Two applicability analysis, top-up tax calculations and filing obligations for Dutch entities
- ATAD interest deduction limitations, CFC rules, hybrid mismatches and exit taxation
- Controlled foreign company analysis under Dutch tax law
- Substance requirements documentation and assessment
- Country-by-country reporting and BEPS compliance
Who is it for?
- Multinational groups with Dutch entities, Dutch holding companies, or a Dutch headquarters
- International entrepreneurs expanding into or out of the Netherlands
- Family offices with assets held through multi-jurisdictional structures
- Foreign companies establishing operations or a tax presence in the Netherlands
- Individuals with complex treaty residency positions
Get in touch with our specialists
CONTACT US
Let's get in touch
At Taxboutiq, we provide expert tax advice and tailored support for businesses and individuals. Whether you have a question about our services, need guidance on a tax matter, or would like to schedule an introductory meeting, we are happy to assist.

