German withholding tax on royalty payments between non-German parties - German tax authorities confirm position on withholding obligation and set out procedural guidelines for compliance

Published date24 February 2021
Subject MatterRoyalties,License Agreements,Ministry of Finance,Withholding Tax,Tax Planning,Multinationals,Income Tax Act,IP License,Germany
AuthorRobert Chase II,Mary Monahan,Robert Christoffel,Randy Buchanan
Law FirmEversheds Sutherland (US) LLP

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