Luxembourg vs Lender Societe, November 2018, Tribunal Administratif, Case No 40348

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Lender Societe had acquired real estate in 2008 for EUR 26 million. The acquisition had been financed by a bank loan of EUR 20 million and a shareholder loan of EUR 6 million. The interest rate on the shareholder loan was set at 12%.

The Tax Authorities found that the “excessive” part of the interest paid on the shareholder loan was as a hidden distribution of profit subject to dividend withholding tax. The hidden profit distribution was calculated as the difference between an arm’s length interest rate set at approximately 3% and the interest rate according to the loan agreement of 12%.

Lender Societe disagreed with the assessment and brought the case before the Tribunal Administratif.

The Tribunal agreed with the Tax Authorities and qualified the excessive interest payments as a hidden profit distribution subject to a 15% dividend withholding tax.

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Luxembourg vs Societe 071018 tribunal administratif du Luxembourg No 40348

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