Information to foreign shareholders in EU/EEA area

Report this content
The ruling in the Fokus Bank Case is relevant for withholding tax on dividends from Orkla ASA to shareholders in EU/EEA before the tax reform in effect from 2004 (companies) and 2006 (individuals). Due to a new Supreme Court decision shareholders in EU/EEA may claim a refund of withholding tax possible as far back as 1994.

Subscribe

Documents & Links