Interest related to leveraged capital reduction or dividend distribution not always tax deductible, according to the Supreme Court

Published date25 April 2020
Subject MatterLiquidity Management,Tax Deductions,Appeals,Belgium,Court of Cassation,Loans,Interest Rates,Dividends,Capital Expenditures,Parent Corporation,Capital Reduction,Distribution Rules,Reaffirmation,Business Expenses
AuthorChristophe Goossens,Camille Goldschmidt
Law FirmWhite & Case LLP

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