Book a meeting
Insights

Public consultation on common EU withholding tax system

Explore how the EU's proposed common withholding tax system aims to streamline cross-border investments and prevent tax abuse.

A common EU-wide system for withholding tax.

On 13 April, 2022 the European Commission opened a public consultation on its initiative to introduce a common EU-wide system for withholding tax on dividend or interest payments.

The problem this initiative aims to tackle is the particularly burdensome withholding tax relief procedures for cross border investors in the securities market. The general objectives of the initiative are to ensure the proper functioning of the Capital Markets Union, to facilitate cross-border investment and to prevent tax abuse.

On 28  September 2021, the Commission had already issued a so called INCEPTION IMPACT ASSESSMENT in which it sets out possible policy options, including legislation, to achieve the before-mentioned objectives. More information about the inception impact assessment can be found in our news letter of 29 September, 2021. The purpose of an inception impact assessments is to inform citizens and stakeholders about the Commission's plans in order to allow them to provide feedback on the intended initiative and to participate effectively in future consultation activities. Citizens and stakeholders are in particular invited to provide views on the Commission's understanding of the problem and possible solutions and to make available any relevant information that they may have, including on possible impacts of the different options. 

The public consultation closes 26 June, 2022. More detailed information on the public consultation can be found by clicking here.

Jeroen van der Wal

Business Development Representative

Topics

Unlock your 

withholding tax recovery potential

Get in touch and see for yourself how you can take control and optimize your withholding tax returns

Insights you might also like

JUNE 12, 2026 • 6 minute read

What Delegated Regulation (EU) 2026/110 Actually Says About FASTER's Reach

Delegated Regulation (EU) 2026/110 has resolved the critical open question in the FASTER Directive: which EU member states must operate under the new fast-track withholding tax framework, and which can stay outside it. The answer will define the operational landscape for institutional investors and custodians from 1 January 2030 onwards.

Tax news

JUNE 10, 2026 • 3 minute read

Dutch Dividend Withholding Tax Refund for Unit-Linked Insurers: Court of Appeal 's-Hertogenbosch

The Court of Appeal of 's-Hertogenbosch has ordered the Dutch tax authorities to refund approximately €53.8 million in dividend withholding tax to a UK-resident unit-linked insurer, ruling that EU free movement of capital principles override the domestic treatment that left the insurer bearing a 15% withholding tax that a comparable Dutch company would never have paid. The decision clarifies the beneficial ownership analysis for unit-linked structures and sets out the conditions under which foreign insurers can pursue similar refund claims.

Tax news

JUNE 10, 2026 • 4 minute read

Italy's 1.2% Dividend WHT Reclaim Window Is Closing for Non-Resident Investors

Italian courts have now confirmed that non-resident corporate investors can reclaim Italian dividend withholding tax where it exceeded the 1.2% effective burden available to comparable Italian companies. With the 48-month limitation period running, claims for 2022 dividends are expiring during 2026.

Tax news