Taxence•
Privé-opnamen dga rechtvaardigen forse looncorrecties
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A Dutch court ruled that hidden withdrawals from private companies must be taxed as salary. The Zeeland-West-Brabant court found that a director deliberately concealed substantial company distributions through accounting tricks, deliberately underreporting wages. The burden of proof shifts to the defendant, reflecting intentional tax evasion through falsified records.
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