BEGIN:VCALENDAR VERSION:2.0 PRODID:www.cuatrecasas.com_1741 METHOD:PUBLISH BEGIN:VTIMEZONE TZID: LAST-MODIFIED:20191017T120000Z BEGIN:STANDARD DTSTART:20191017T120000 TZOFFSETFROM: TZOFFSETTO: TZNAME:code END:STANDARD BEGIN:DAYLIGHT DTSTART:20191017T120000 TZOFFSETFROM: TZOFFSETTO: TZNAME: END:DAYLIGHT END:VTIMEZONE BEGIN:VEVENT DTSTART;TZID="":20191017T120000 DTSTAMP:20191017T120000 DTEND;TZID="":20191017T140000 SUMMARY:Luxembourg Private Equity Funds - A Tax perspective LOCATION:Arendt House <br/> 41A, Avenue JF Kennedy <br/> L-2082 Luxemburgo DESCRIPTION:We are pleased to invite you to an interactive lunch workshop where we look forward to sharing a European perspective regarding the impact of recent international tax developments, including the Anti-Tax Avoidance Directive (ATAD) II and the European Court of Justice (ECJ) Danish beneficial ownership cases, on European private equity structures.The new ATAD II measures applicable as from 1 January 2020, respectively from 1 January 2022 for the rules on reverse hybrids, are expected to have a material impact on Luxembourg companies and partnerships.On 26 February 2019, the ECJ has rendered landmark decisions in the so-called “Danish beneficial ownership” cases. We will discuss the actual implications of these cases for fund structures in relevant source countries.Together with prominent tax partners from leading European law firms, we will analyse the challenges and opportunities arising for private equity funds, promoters and investors in the most relevant European jurisdictions including Germany, France, Ireland, Italy, Luxembourg, Portugal, Spain, Switzerland and the UK.Tax experts from the following leading law firms will debate and interact with you during a lunch workshop session which will take place on Thursday 17 October 2019 at Arendt House:- Arendt & Medernach, Luxembourg- Arthur Cox, Ireland- Chiomenti Studio Legale, Italy- Cuatrecasas, Portugal & Spain- Gide Loyrette Nouel, France- Gleiss Lutz, Germany- Macfarlanes, United KingdomWe look forward to welcoming you at this event. Please register here.\n\n UID:1741 SEQUENCE:0 X-ALT-DESC;FMTTYPE=text/html:\n\n
\n\nWe are pleased to invite you to an interactive lunch workshop where we look forward to sharing a European perspective regarding the impact of recent international tax developments, including the Anti-Tax Avoidance Directive (ATAD) II and the European Court of Justice (ECJ) Danish beneficial ownership cases, on European private equity structures.The new ATAD II measures applicable as from 1 January 2020, respectively from 1 January 2022 for the rules on reverse hybrids, are expected to have a material impact on Luxembourg companies and partnerships.On 26 February 2019, the ECJ has rendered landmark decisions in the so-called “Danish beneficial ownership” cases. We will discuss the actual implications of these cases for fund structures in relevant source countries.Together with prominent tax partners from leading European law firms, we will analyse the challenges and opportunities arising for private equity funds, promoters and investors in the most relevant European jurisdictions including Germany, France, Ireland, Italy, Luxembourg, Portugal, Spain, Switzerland and the UK.Tax experts from the following leading law firms will debate and interact with you during a lunch workshop session which will take place on Thursday 17 October 2019 at Arendt House:- Arendt & Medernach, Luxembourg- Arthur Cox, Ireland- Chiomenti Studio Legale, Italy- Cuatrecasas, Portugal & Spain- Gide Loyrette Nouel, France- Gleiss Lutz, Germany- Macfarlanes, United KingdomWe look forward to welcoming you at this event. Please register here.
\n
\n
FONT>