BEGIN:VCALENDAR VERSION:2.0 PRODID:www.cuatrecasas.com_2264 METHOD:PUBLISH BEGIN:VTIMEZONE TZID:Central European Time LAST-MODIFIED:20220216T160000Z BEGIN:STANDARD DTSTART:20220216T160000 TZOFFSETFROM:+0100 TZOFFSETTO:+0100 TZNAME:code END:STANDARD BEGIN:DAYLIGHT DTSTART:20220216T160000 TZOFFSETFROM:+0100 TZOFFSETTO:+0100 TZNAME:CET END:DAYLIGHT END:VTIMEZONE BEGIN:VEVENT DTSTART;TZID="Central European Time":20220216T160000 DTSTAMP:20220216T160000 DTEND;TZID="Central European Time":20220216T170000 SUMMARY:Unshell Directive Proposal LOCATION: DESCRIPTION:\n\nWe are pleased to invite you to our webinar on February 16 to share a first overview of the European Commission proposal for a Directive (formerly referred to as “ATAD 3”) to prevent the misuse of shell entities for tax, published on December 22, 2021. \n\n Whether SPVs have sufficient substance for various tax purposes is an area of concern to many taxpayers from multinational groups to private clients, including the investment funds industry. The proposal states that ‘while it is recognized that different activities may require a different level or type of resources, a common minimum level of resources would be expected under all circumstances’. \n\n Is this proposal necessary from a policy perspective and does it favour third countries? Is this proposal adding an additional layer of complexity to the substance issue already raised by legislative initiatives such as the PPT, abuse of law, GAAR, or court decisions like the Danish cases? Is the proposal fully aligned with freedom of establishment, provision of services, etc.? Which are the practical implications of this EU Directive proposal? \n\n To answer these and many other questions, partners from eight leading European law firms will interact with Mr. Savino Ruà, Head of International Tax sector at the European Commission project leader for Unshell Tax. \n\n If you have any question on the topic, please write it in the registration form. Our speakers will be pleased to address it during the webinar.\n\nIn collaboration with: \n\n\n\n\n\n UID:2264 SEQUENCE:0 X-ALT-DESC;FMTTYPE=text/html:\n\n
\n\nWe are pleased to invite you to our webinar on February 16 to share a first overview of the European Commission proposal for a Directive (formerly referred to as “ATAD 3”) to prevent the misuse of shell entities for tax, published on December 22, 2021. Whether SPVs have sufficient substance for various tax purposes is an area of concern to many taxpayers from multinational groups to private clients, including the investment funds industry. The proposal states that ‘while it is recognized that different activities may require a different level or type of resources, a common minimum level of resources would be expected under all circumstances’. Is this proposal necessary from a policy perspective and does it favour third countries? Is this proposal adding an additional layer of complexity to the substance issue already raised by legislative initiatives such as the PPT, abuse of law, GAAR, or court decisions like the Danish cases? Is the proposal fully aligned with freedom of establishment, provision of services, etc.? Which are the practical implications of this EU Directive proposal? To answer these and many other questions, partners from eight leading European law firms will interact with Mr. Savino Ruà, Head of International Tax sector at the European Commission project leader for Unshell Tax. If you have any question on the topic, please write it in the registration form. Our speakers will be pleased to address it during the webinar.In collaboration with:
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