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Showing 16501 - 16510 of 17914 for "EMEA" with applied filters

News & Analysis

Helmy, Hamza & Partners Advises on the first Sukuk Issuance in Egypt

12 April 2020 by Helmy Hamza & Partners

Helmy, Hamza & Partners, member firm of Baker & McKenzie International, recently advised Arab Company for Projects and Urban Developments S.A.E., a subsidiary of Talaat Moustafa Group Holding, on the issuance of a sukuk program with a value of EGP 2 billion with final maturity at the end of 2024.

News & Analysis

MOLITOR Avocats à la Cour strengthen Litigation & Dispute Resolution Team

06 April 2020 by Molitor Avocats à la Cour

MOLITOR Avocats à la Cour strengthen Litigation & Dispute Resolution Team

News & Analysis

Renewal of the governance of the law firm Arendt & Medernach

06 April 2020 by Arendt & Medernach

Renewal of the governance of the law firm Arendt & Medernach

News & Analysis

Covid-19 in Swizerland: First measures ordered by the Government

01 April 2020 by Dominik Hohler and Stéphanie Oneyser

First measures ordered by the Swiss Government

News & Analysis

Law of 25 March 2020 establishing a central data retrieval system for bank, payment accounts and safe-deposit boxes

01 April 2020 by Arendt & Medernach

The law of 25 March 2020 establishing a central data retrieval system concerning IBAN accounts and safe-deposit boxes entered into force on 30 March 2020 (the “Central Register Law”).

News & Analysis

Zita Albert joins CERHA HEMPEL’s Budapest office as M&A Partner

26 March 2020 by CERHA HEMPEL Dezsö & Partners

Zita Albert joins CERHA HEMPEL’s Budapest office as M&A Partner

News & Analysis

Circumstances caused by Covid-19: Swing Pricing Mechanism and frequently asked questions

24 March 2020 by Arendt & Medernach

Following the impact of Covid-19 on the financial markets, the CSSF updated its FAQ on the Swing Pricing Mechanism on 20 March 2020.

News & Analysis

New legislation to be introduced to address the mismatch in respect of the taxation of foreign dividends received by REITs: A disincentive for REITs to invest offshore?

16 March 2020 by Cliffe Dekker Hofmeyr

In essence, real estate investment trusts (REITs) are treated as conduits through which the income they derive, flows to their shareholders. The main advantage of a REIT is therefore that a deduction of the distribution made by the REIT to its shareholders may be claimed against its income provided that it is a qualifying distribution. By nature, REITs distribute most of their income to their shareholders and will usually pay little or no income tax on the distributions, instead shareholders will be liable to pay income tax on the distributions received from REITs. REITs are, however, taxed on the taxable income they retain at the standard corporate tax rate.

News & Analysis

Morais Leitão Galvão Teles Soares da Silva & Associados announces new partner André de Sousa Vieira

12 March 2020 by Morais Leitão Galvão Teles Soares da Silva & Associados

Lisbon, 3rd March 2020 – Morais Leitão has just reinforced its team with a new partner, André de Sousa Vieira, who joins the Banking and Finance Department and the firm’s International Committee.

News & Analysis

FATCA & CRS reporting in Luxembourg: new draft bill submitted to the Parliament

02 March 2020 by Arendt & Medernach

Luxembourg Newsflash - 27 February 2020

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