New Trends in the Definition of Permanent Establishment: The Netherlands

36 Pages Posted: 18 Jan 2019 Last revised: 20 Jan 2019

See all articles by Maarten Floris de Wilde

Maarten Floris de Wilde

Erasmus University Rotterdam

Ciska Wisman

Radboud University Nijmegen

Date Written: December 28, 2018

Abstract

This paper elaborates on current and emerging issues involving the operation of the concept of permanent establishment (PE) in the national tax system and double tax treaty system of the Netherlands. The paper was written as a contribution (country report) to the seminar “New Trends in the Definition of Permanent Establishment”, organized by the Faculty of Economics and Law of the Università Cattolica Del Sacro Cuore under the aegis of the OECD and the Italian Council of Ministers. The seminar was held in Milan, Italy, on 26 November 2018.

Topics addressed in the paper include:
• The operation of the PE concept in the national tax system and double tax treaty system
• Tax treaty practices and departures from the OECD Model
• Signing of the Multilateral Instrument and reservations made and options chosen
• Ongoing developments
• Taxation of the digital economy

Keywords: Permanent Establishment, Base Erosion and Profit Shifting, Multilateral Instrument, Digital Economy

JEL Classification: K34

Suggested Citation

de Wilde, Maarten Floris and Wisman, Ciska, New Trends in the Definition of Permanent Establishment: The Netherlands (December 28, 2018). Available at SSRN: https://ssrn.com/abstract=3307326 or http://dx.doi.org/10.2139/ssrn.3307326

Maarten Floris De Wilde (Contact Author)

Erasmus University Rotterdam ( email )

3000 DR Rotterdam
Netherlands
+31(0)104081647 (Phone)
+31(0)104089179 (Fax)

HOME PAGE: http://www.eur.nl/en

Ciska Wisman

Radboud University Nijmegen ( email )

Postbus 9108
Nijmegen, 6500 HK
Netherlands

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