We use cookies to customise content for your subscription and for analytics.
If you continue to browse Lexology, we will assume that you are happy to receive all our cookies. For further information please read our Cookie Policy.
Lexology logo
  Request new password

Search results

Order by most recent / most popular / relevance

Results: 1-5 of 5

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

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

Non-resident tax declarations no longer required

  • Mason Hayes & Curran
  • -
  • Ireland
  • -
  • October 13 2010

Ireland has a system of withholding tax operating in respect of Irish investors in Irish funds