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It is possible to structure an (existing) Dutch company as the international holding company of the entire group.

This may have various tax advantages for your company. One of the important regimes of the Dutch corporate income tax system is the participation exemption, under which all dividends and capital gains arising from a qualifying shareholding are tax-exempt. The Dutch participation exemption prevents double taxation of dividends and capital gains distributed from (foreign) qualifying subsidiaries to the Dutch holding company.

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