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Results: 1-10 of 11

Revenue Commissioners in discussions with US Treasury

  • Mason Hayes & Curran
  • -
  • Ireland, USA
  • -
  • June 25 2012

The Irish Revenue Commissioners recently confirmed that they are in discussions with the US Treasury with respect to the possibility of exploring a common approach to the Foreign Account Tax Compliance Act (“FATCA”

A boost for Irish funds in Finance Act 2012

  • Mason Hayes & Curran
  • -
  • Ireland
  • -
  • April 27 2012

Finance Bill 2012 was signed into law by President Higgins on 31 March 2012 and has now been enacted as Finance Act 2012

Refund of Dutch dividend withholding tax for Irish funds?

  • Mason Hayes & Curran
  • -
  • Ireland, Netherlands
  • -
  • April 24 2012

The Court of Appeal of Den Bosch, the Netherlands, awarded a Finnish investment fund a full refund of Dutch dividend tax withheld from dividends it received from investments in Dutch resident entities, in a decision issued on 9 March 2012

Finance Bill 2012 update

  • Mason Hayes & Curran
  • -
  • Ireland
  • -
  • February 22 2012

The Irish Finance Bill 2012 was published on Wednesday 8th February and contained a number of pro-business initiatives stemming from economic policies to help generate employment and drive Ireland's smart economy

IrelandUnited Arab Emirates double tax agreement

  • Mason Hayes & Curran
  • -
  • Ireland, United Arab Emirates
  • -
  • February 17 2012

On 1 July 2010, the Irish government signed a Double Taxation Agreement (“DTA”) with the United Arab Emirates (“UAE”

New protocol to IrelandSwitzerland Double Tax Agreement

  • Mason Hayes & Curran
  • -
  • Ireland, Switzerland
  • -
  • February 17 2012

On 26 January 2012, the Irish government signed a protocol amending its existing Double Taxation Agreement (“DTA”) with Switzerland

IrelandGermany Double Tax Agreement

  • Mason Hayes & Curran
  • -
  • Germany, Ireland
  • -
  • December 16 2011

Ireland and Germany signed a Protocol on 25 May 2010 amending the existing IrelandGermany Double Tax Agreement (“DTA”) with effect from 1 January 2011

International tax newsletter

  • Mason Hayes & Curran
  • -
  • Ireland
  • -
  • December 7 2011

With Ireland's 12.5 tax rate accepted by all other EU Member States and further endorsed in today's Budget, we are continuing to advise numerous multi-national companies ("MNCs") on the use of Ireland as part of their global strategy

Finance Act 2011 amends Irish structured finance SPC regime

  • Mason Hayes & Curran
  • -
  • Ireland
  • -
  • April 19 2011

The Finance Act 2011 has amended the Irish structured finance SPC regime, often used in conjunction with Irish funds to maximise overall tax efficiency

Ireland - a conduit for investment into China

  • Mason Hayes & Curran
  • -
  • China, Ireland
  • -
  • March 11 2011

Ireland has a very beneficial tax treaty with China, and when taken in addition to Ireland's favourable holding company tax regime it provides significant opportunities for investment into China via Ireland and from China into Ireland