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DTSTART:20001029T030000
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BEGIN:VEVENT
UID:20260618T081040Z - 95167@eupv478
DTSTART;TZID=Europe/Luxembourg:20210506T140000
DTEND;TZID=Europe/Luxembourg:20210506T170000
CREATED:20260618T081040Z
DESCRIPTION:<a href="https://www.legitech.lu/event/structuring-alternative-
 investments-113/register">STRUCTURING ALTERNATIVE INVESTMENTS</a>\nPRESENT
 ATION Over the last decades\, Luxembourg has developed and cemented its po
 sition as a prime holding location and a major financial centre within Eur
 ope. Multinational enterprises and international investors alike use Luxem
 bourg as a platform to manage their business activities and investments in
  and beyond Europe. Today\, Luxembourg is the location of choice for asset
  managers implementing Alternative Investments such as real estate\, priva
 te equity\, private debt or hedge funds. Although these investment activit
 ies where never in the focus of the OECD when developing new tax rules as 
 a result of the organisation’s Base Erosion and Profit Shifting (“BEPS
 ”) Project\, the changes that have been/will be implemented in the domes
 tic tax laws of Luxembourg and foreign jurisdictions as well as the change
 s to bilateral tax treaties and the OECD Transfer Pricing Guidelines will 
 have an impact on the taxation of alternative investments. This is the fir
 st of three workshops on the “Structuring of Alternative Investments (Pr
 ivate Equity\, Real Estate\, etc.) in the post-BEPS Era” which focuses o
 n the impact of different BEPS measures\, the European Anti-Tax Avoidance 
 Directives (ATAD/ATAD 2) and related Luxembourg tax law changes on contemp
 orary investment structures. OBJECTIVES OF THE WORKSHOP Upon successful co
 mpletion of this workshop\, the participants will: o have an overview of t
 he outcome of the OECD BEPS Project and the EU Anti-Tax Avoidance Directiv
 es (ATAD/ATAD 2) as well as their implementation in domestic tax law and t
 ax treaties o understand the concrete impact of the different BEPS measure
 s on Alternative Investments structured via Luxembourg (in Luxembourg and 
 abroad) o have a clear view on which BEPS measures will generally not impa
 ct alternative investments o understand the importance of a tailor-made ap
 proach when it comes to the design and implementation of [...]
DTSTAMP:20260618T081040Z
SUMMARY:STRUCTURING ALTERNATIVE INVESTMENTS
X-ALT-DESC;FMTTYPE=text/html:<a href="https://www.legitech.lu/event/structu
 ring-alternative-investments-113/register">STRUCTURING ALTERNATIVE INVESTM
 ENTS</a>\nPRESENTATION Over the last decades\, Luxembourg has developed an
 d cemented its position as a prime holding location and a major financial 
 centre within Europe. Multinational enterprises and international investor
 s alike use Luxembourg as a platform to manage their business activities a
 nd investments in and beyond Europe. Today\, Luxembourg is the location of
  choice for asset managers implementing Alternative Investments such as re
 al estate\, private equity\, private debt or hedge funds. Although these i
 nvestment activities where never in the focus of the OECD when developing 
 new tax rules as a result of the organisation’s Base Erosion and Profit 
 Shifting (“BEPS”) Project\, the changes that have been/will be impleme
 nted in the domestic tax laws of Luxembourg and foreign jurisdictions as w
 ell as the changes to bilateral tax treaties and the OECD Transfer Pricing
  Guidelines will have an impact on the taxation of alternative investments
 . This is the first of three workshops on the “Structuring of Alternativ
 e Investments (Private Equity\, Real Estate\, etc.) in the post-BEPS Era
 ” which focuses on the impact of different BEPS measures\, the European 
 Anti-Tax Avoidance Directives (ATAD/ATAD 2) and related Luxembourg tax law
  changes on contemporary investment structures. OBJECTIVES OF THE WORKSHOP
  Upon successful completion of this workshop\, the participants will: o ha
 ve an overview of the outcome of the OECD BEPS Project and the EU Anti-Tax
  Avoidance Directives (ATAD/ATAD 2) as well as their implementation in dom
 estic tax law and tax treaties o understand the concrete impact of the dif
 ferent BEPS measures on Alternative Investments structured via Luxembourg 
 (in Luxembourg and abroad) o have a clear view on which BEPS measures will
  generally not impact alternative investments o understand the importance 
 of a tailor-made approach when it comes to the design and implementation o
 f [...]
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