The Netherlands and Jersey seek a broader economic and trading relationship. Both
parties have long been active in international efforts in the fight against financial
and other crimes including fiscal crimes and each recognises the other’s commitment
to comply with international standards on money laundering, terrorist financing and
financial regulation.
The Netherlands and Jersey are committed to deepening their relationship through cooperation
on greater transparency and exchange of information on tax matters and with the objective
of achieving a double taxation agreement taking account of the specific characteristics
of the tax systems of both parties. Thereby the relationship between the Netherlands
and Jersey is and will continue to be enhanced to the parties mutual benefit.
The Netherlands recognises Jersey’s commitment to a policy of improving co-operation,
reflected, inter alia, in the signing by Jersey of an Agreement on the Taxation of
Savings Income with the Netherlands and each of the other EU Member States. Furthermore,
the Netherlands recognises Jersey’s commitment towards the work of the OECD’s Global
Forum on Taxation to achieve a global level playing field in the areas of transparency
and effective exchange of information for tax purposes. The Netherlands and Jersey
have decided to introduce immediately:
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• a tax information exchange agreement;
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• a mutual agreement procedure in connection with the adjustment of profits of associated
enterprises;
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• a mutual agreement procedure in connection with the conditions for the application
of the Netherlands participation exemption and, on this basis, a mutual understanding
that will secure the application of the Netherlands participation exemption in accordance
with the rules as set out in the Netherlands corporate income tax Act.
Six months after the entry into force of these agreements negotiations will continue
on further measures needed to alleviate undesired tax barriers and other obstacles
of a discriminatory nature that may be included in the domestic tax legislation of
the parties. In preparation for resuming negotiations the Netherlands and Jersey will
study their respective tax systems to identify which undesired tax barriers and other
obstacles should be addressed. In due course it is the intention to integrate partial
results achieved into a double taxation agreement.
Two years after the date of the entry into force of the agreements signed today, the
Netherlands and Jersey will jointly evaluate the results achieved and will consider
which further steps may be necessary.
Formal communications, including requests for information, made in connection with
or pursuant to the provisions of the Agreements entered into will be in writing directly
to the competent authority of the other party at the addresses given below, or such
other address as may be notified by one party to the other from time to time. Any
subsequent communications regarding requests for information will be either in writing
or verbally, whichever is most practical, between the earlier mentioned competent
authorities or their authorised representatives.
In the case of the Netherlands the address is:
The Fiscal Information and Investigation Service/Economic Investigation Service,
Belastingdienst/FIOD-ECD/Team Internationaal,
Postbus 59395
1040 KJ Amsterdam
In the case of Jersey the address is:
The Minister for Treasury and Resources
PO Box 353
Cyril Le Marquand House
The Parade
St Helier
JE4 8UL