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Italy Supreme Court Holds Dutch Banks Eligible for Reduced Domestic Withholding Tax on Dividends Instead of Treaty Rate

|Treaty Development|Italy-Netherlands
Italy-Netherlands

The Italian Supreme Court recently issued two related decisions in regard to the withholding tax rate on dividends paid from Italy to the Netherlands. The cases involved two Dutch banks that received dividends from Italian companies in the tax years 2005, 2006, and 2007. When the dividends were paid, the paying companies withheld tax at a rate of 15% in accordance with Article 10 (Dividends) of…

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