The new EU interest limitation rules will significantly impact the tax position of asset holding companies and downstream investment structures in the EU for international investment funds. In this two-part panel session, experts from our Irish and Luxembourg Tax teams provide practical advice and guidance on how to address this significant new development.
In Part Two, our panel consider the exemptions and safe harbours that may be available under EU and national legislation to mitigate the effect of the interest limitation rules by way of a series of practical case studies.
To listen, please click the link below. This webcast is best viewed on Google Chrome and is available worldwide and On Demand.
The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.