The notional interest deduction entitles Belgian companies and establishments to annually calculate a fictitious interest expense on their aggregate equity amount, thus reducing their taxable basis. Combined with the abolishment of the 0.5% capital tax, this tax feature will not only encourage Belgian taxpayers to strengthen their working capital, it will also reinforce the attractiveness of Belgium as a location for treasury and finance centres, capital-intensive companies (such as the Belgian Coordination Centres, whose specific tax regime will shortly expire) and headquarters. (...)
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