Publication
The 2025 Dutch tax classification of the Brazilian FIP
The Dutch tax classification system for non-Dutch entities will undergo significant changes as of 1 January 2025.
Global | Publication | March 2022
In the information note 22/5 dated 10 March 2022, the Luxembourg Commissariat aux Assurances (CAA) requested that all entities under its supervision carry out an impact assessment in the short and medium term and should implement enhanced due diligence measures following Russia's military aggression against Ukraine.
The enhanced due diligence and analysis of potential impacts undertaken should cover at least the following areas:
In the event that all of the above analyses have identified the need for an entity to produce a new own risk and solvency assessment (ORSA) (e.g. as a result of an adjustment to the business plan or the development of new scenarios), the entities concerned are invited to send this amended ORSA to the CAA.
Notwithstanding the above paragraph, the results of the analysis, reviews and revisions must be made available to the CAA.
In the event of the emergence of a material risk, the entity is invited to contact the CAA as soon as possible.
(* These areas are only relevant for insurance and reinsurance undertakings)
Publication
The Dutch tax classification system for non-Dutch entities will undergo significant changes as of 1 January 2025.
Publication
As previously observed, conflicts occasionally arise between mortgagees and charterers where a mortgagee wishes to take prompt action to enforce its rights, but the charterer wishes such enforcement action to be deferred until the end of the charter.
Publication
For some time now, the European Commission (EC) and national competition authorities (NCAs) have been striving to catch so-called “killer acquisitions” under their merger control rules to thereby close a perceived enforcement gap.
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