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DTSTART:20001029T030000
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BEGIN:VEVENT
UID:20260618T110459Z - 11117@eupv478
DTSTART;TZID=Europe/Brussels:20230420T140000
DTEND;TZID=Europe/Brussels:20230420T170000
CREATED:20260618T110459Z
DESCRIPTION:<a href="https://www.legitech.lu/event/structuring-alternative-
 investments-in-the-post-beps-era-module-1-structuring-of-alternative-inves
 tments-496/register">Structuring alternative investments in the post-BEPS 
 era - module 1 : structuring of alternative investments</a>\nPRESENTATION 
 Module 1 - 20/04/2023 - 2 to 5 PM : structuring of alternative investments
  Over the last decades\, Luxembourg has developed and cemented its positio
 n as the location of choice for asset managers implementing Alternative In
 vestments such as private equity\, private debt\, real estate and infrastr
 ucture. Although these investment activities where never in the focus of t
 he OECD when developing new tax rules as a result of the organisation’s 
 Base Erosion and Profit Shifting (“BEPS”) Project\, the changes that h
 ave been/will be implemented in the domestic tax laws of Luxembourg and fo
 reign jurisdictions as well as the changes to bilateral tax treaties and t
 he OECD Transfer Pricing Guidelines will have an impact on the taxation of
  alternative investments. This is the first of four workshops on “Altern
 ative Investments in Luxembourg” which focuses on the impact of differen
 t BEPS measures\, the European Anti-Tax Avoidance Directives (ATAD/ATAD 2)
  and related Luxembourg tax law changes on contemporary investment structu
 res. >>> Program Introduction Typical investment structures The OECD BEPS 
 Project and ATAD/ATAD 2 Impact of ATAD/ATAD 2 on investments Interest limi
 tation rules Hybrid mismatch rules Reverse hybrid mismatch rule Case studi
 es Conclusion ORATEUR OLIVER R. HOOR Tax Partner and Head of Transfer Pric
 ing\, ATOZ Tax Advisers Oliver is a Partner in the International & Corpora
 te Tax department at ATOZ. A tax professional since 2003\, Oliver has expe
 rience in Luxembourg and international taxation with a focus on alternativ
 e Investments (private equity\, real estate\, sovereign wealth funds\, hed
 ge funds)\, mergers & acquisitions and multinational groups. He advises cl
 ients on all direct tax aspects regarding deal structuring\, maintenance\,
  reorganisations and exit planning. He also holds the titles of Head of Tr
 ansfer Pricing and of the German Desk. Oliver is the [...]
DTSTAMP:20260618T110459Z
LOCATION:ATOZ Tax Advisers\, Aerogolf Center\, 1B rue Heienhaff\, Senninger
 berg  1736\, Luxembourg
SUMMARY:Structuring alternative investments in the post-BEPS era - module 1
  : structuring of alternative investments
X-ALT-DESC;FMTTYPE=text/html:<a href="https://www.legitech.lu/event/structu
 ring-alternative-investments-in-the-post-beps-era-module-1-structuring-of-
 alternative-investments-496/register">Structuring alternative investments 
 in the post-BEPS era - module 1 : structuring of alternative investments</
 a>\nPRESENTATION Module 1 - 20/04/2023 - 2 to 5 PM : structuring of altern
 ative investments Over the last decades\, Luxembourg has developed and cem
 ented its position as the location of choice for asset managers implementi
 ng Alternative Investments such as private equity\, private debt\, real es
 tate and infrastructure. Although these investment 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\, t
 he changes that have been/will be implemented in the domestic tax laws of 
 Luxembourg and foreign jurisdictions as well as the changes to bilateral t
 ax treaties and the OECD Transfer Pricing Guidelines will have an impact o
 n the taxation of alternative investments. This is the first of four works
 hops on “Alternative Investments in Luxembourg” which focuses on the i
 mpact of different BEPS measures\, the European Anti-Tax Avoidance Directi
 ves (ATAD/ATAD 2) and related Luxembourg tax law changes on contemporary i
 nvestment structures. >>> Program Introduction Typical investment structur
 es The OECD BEPS Project and ATAD/ATAD 2 Impact of ATAD/ATAD 2 on investme
 nts Interest limitation rules Hybrid mismatch rules Reverse hybrid mismatc
 h rule Case studies Conclusion ORATEUR OLIVER R. HOOR Tax Partner and Head
  of Transfer Pricing\, ATOZ Tax Advisers Oliver is a Partner in the Intern
 ational & Corporate Tax department at ATOZ. A tax professional since 2003\
 , Oliver has experience in Luxembourg and international taxation with a fo
 cus on alternative Investments (private equity\, real estate\, sovereign w
 ealth funds\, hedge funds)\, mergers & acquisitions and multinational grou
 ps. He advises clients on all direct tax aspects regarding deal structurin
 g\, maintenance\, reorganisations and exit planning. He also holds the tit
 les of Head of Transfer Pricing and of the German Desk. Oliver is the [...
 ]
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