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This brochure provides key elements on Islamic finance in Luxembourg.
This brochure provides an overview of the insurance activities in Luxembourg.
This brochure provides an overview of reinsurance activities in Luxembourg.
Luxembourg legal update: theft of intangible assets; new rules on market abuse; reversal of case law in France; and more
Arendt & Medernach’s update provides a compact summary of the most recent national and European legal and regulatory developments.
The Advocate General of the CJEU has further defined VAT exemptions applicable to collective investment funds...
They must now inform the regulator about new funds they take on.
Tax crimes included as predicate offences; rethinking of the risk-based approach; and other changes.
Luxembourg opens the door to China with approval of R-QFII UCITS funds.
Luxembourg, EU and international developments in tax regulation, including the double tax treaty network.
There has been talk of a Gulf Co-operation Council ‘funds passport’, but a regulatory framework has yet to be drafted.
The key elements of the new funds that are intended to boost longer term investment in the EU economy.
Simplified form of company to be introduced; ‘sarl’ companies to become more flexible, and other proposals.
The CSSF has extended the transition deadline for CSSF Circular 14/587 applicable to Luxembourg credit institutions acting as depositaries for UCITS.
Luxembourg’s advantages for companies considering locating their business here and insight into the country’s legal regime for enterprises.
The restrictive measures targeting individuals and entities for threatening or undermining Ukraine’s sovereignty and territorial integrity have been extended.
This is a CSSF circular to credit institutions acting as depositaries of UCITS, represented by their management company .
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.