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  • 13-09-2013

With the Belgian tax administration publishing a Circular Letter[1] following the decision of the European Court of Justice (CJEU) in Tate & Lyle Investments , the framework is set for qualifying foreign companies to claim back Belgian withholding tax paid on outbound dividends. In this newsletter we clarify which companies qualify for a refund and how they should proceed.

Please read more on this topic in our newsletter.

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