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The Luxembourg Budget law, abolition of the witholding tax system and a new circular on benefits-in-kind, plus more.
The CSSF has issued a new Circular 15/601 relating to the ratio increase notification procedure laid down in Article 94(1)(g)(ii) of Directive 2013/36/EU (CRD IV).
The Luxembourg tax authorities have issued Circular Letter L.I.R. n° 14/4 with respect to the taxation of income realised by a Luxembourg common limited partnership or a special limited partnership.
The banking union package is based on two pillars, the single supervisory mechanism and the single resolution mechanism, while the single rule book is the foundation on which the banking union is built.
Luxembourg’s parliament has voted through a Budget that contains various new VAT measures.
CSSF publishes updated AIFMD FAQ: guidance for the notifications under Articles 25 and 37 of the AIFM law
The Commission de Surveillance du Secteur Financier has published an updated version of its FAQ on the AIFMD.
To strengthen the EU’s policy of not recognising the annexation of Crimea and Sevastopol by Russia, the Council of the EU has reinforced the package of restrictive measures.
Luxembourg has now fully implemented the AIFMD. This will reinforce the country’s position as a global investment fund hub.
The CSSF has no objections to UCITS investing in China A-Shares using the Hong Kong-Shanghai Stock Connect platform.
Luxembourg offers interesting tax legislation for reinsurance businesses.
Tax Update — October 2014: Luxembourg budget 2015; Luxembourg-France double tax treaty amended; and more
Arendt & Medernach has published its Tax Update for October 2014.
New set of restrictive measures against the Russian Federation in relation to events in Ukraine entered into force last Friday (12th)
In view of the increasing gravity of the situation in eastern Ukraine, the European Council has reinforced the restrictive measures adopted on 30–31 July 2014.
The Arendter — September 2014: private foundations; MiFID II; cross-border AIF distribution; and more download
Discover the second issue of Arendt & Medernach’s magazine The Arendter. This publication will give you a quick overview of key topics related to your daily business.
On 5 September 2014, the Luxembourg and French finance ministers signed a fourth amendment to the Luxembourg-France Double Tax Treaty dated 1 April 1958.
Restrictive measures against the Russian Federation in relation to events in Ukraine: how will they affect you?
The Council of the European Union has adopted new restrictive measures targeting co-operation and exchanges with the Russian Federation.
Tax Update — July 2014: new rules for exit tax on capital gains upon migration; the tax treaty network; and more
Arendt & Medernach has released the July edition of its Tax Update.
After the publication of the CSSF Circular 14/587 on UCITS depositaries last week, it is now the European legislator’s turn to adopt new rules on UCITS depositaries.
The CSSF publishes the article 42 AIFMD information form: non-EU AIFMs can notify CSSF of intention to market in Luxembourg
The CSSF has published guidance on the notification to it by non-EU AIFMs of their intention to market their EU and non-EU AIFs to professional investors in Luxembourg.
Bill of law no. 6625, which will substantially change the legal regime applicable to bearer shares issued by a Luxembourg company, was adopted on 16 July 2014.
The CSSF has released a new circular aimed at clarifying the provisions applicable to Luxembourg credit institutions acting as depositary for UCITS.