The
Netherlands Antilles and Aruba have a special role to
play in making Holland an attractive jurisdiction in
which to base international holding and trading operations.
Dividends paid by a Dutch corporation to a Netherlands
Antilles or Aruban company are subject to reduced withholding
tax rates. This is a very unusual arrangement since
Netherlands Antilles and Aruba are offshore jurisdictions
which don't normally have double tax treaties with high-tax
countries.
In
2008, the standard Dutch withholding tax rate on dividends
of 15% can be reduced to a rate of 5% on dividends remitted
to a Netherlands Antilles company provided that the
Netherlands Antilles company satisfies minimum share
holding criteria.
For
further information on the Netherlands
Antilles and Aruba
see the relevant jurisdiction sections.
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