Beneficial ownership of dividends : relevance of the new Netherlands dividend-stripping rules in tax treaty situations
Journal
Netherlands
European Taxation 2002 (Volume 42), No. 11
The new Netherlands dividend-stripping provision, which denies the reduced dividend withholding tax rate or a tax exemption provided by a tax treaty if the taxpayer is not the beneficial owner of the dividends, is examined in respect of its application in the tax treaty context.