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Norges skatteblogg

Norway's Tax Blog – tax, VAT and legal matters

Norway's Tax Blog – tax, VAT and legal matters

Trine Agathe Lorentzen

Jeg heter Trine Agathe Lorentzen og jobber som advokat i Advokatfirmaet PwC. Jeg jobber med skattespørsmål for næringslivet og har mer enn 16 års erfaring innenfor skatterett, selskapsrett og skatteforvaltning. Før jeg startet i PwC i 2005 jobbet jeg i Skatteetaten.

Skattereglene er i stadig endring og er en viktig rammebetingelse for virksomheter i Norge. Jeg er redaktør for Norges skatteblogg og ønsker å dele nyheter, analyser og refleksjoner med deg. Hvis du har kommentarer, spørsmål eller innspill til noe du ser eller leser her på Norges Skatteblogg håper jeg å høre fra deg.

God fornøyelse!

My name is Trine Agathe Lorentzen and I work as a lawyer and partner in PwC Tax & Legal Services. I work with corporate tax issues and have more then 16 years of experience with tax law, company law and tax assessment law.

The tax rules are constantly changing and are an important framework condition for businesses in Norway. I look forward to sharing news, analyses and reflections with you. If you have any comments, questions or input to something you see or read here on Norway’s Tax blog I hope to hear from you.

Enjoy!


trine.agathe.lorentzen@pwc.com
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Valuable tax and VAT information in more than 150 countries

By Trine Agathe Lorentzen , 02-Oct-2017 15:16:56

Worldwide Tax Summaries - Corporate Taxes 2017/2018 provides a practical and detailed overview of tax and VAT in more than 150 countries. You will also find tables of the relevant tax- and VAT rates. The guidance is a very practical tool for companies conducting their business cross-border, and require a simple overview of the legislation.  

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Areas of interest: VAT, Corporate tax

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New advisory opinion from the EFTA Court opens the door for cross border group contributions with tax effect

By Trine Agathe Lorentzen , 18-Sep-2017 13:10:48

The EFTA Court has stated in a new advisory opinion as of 13th September 2017 that it may be a violation of the Freedom of Establishment in EEA law to deny Norwegian companies a tax deduction for group contributions to a group company in an EEA state with a tax loss in that state. One condition is that the loss incurred by the foreign group company is final, and cannot be utilized in the home state in earlier or future periods.

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Areas of interest: Corporate tax

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The Multilateral instrument for implementation of BEPS measures is signed

By Trine Agathe Lorentzen , 09-Jun-2017 12:35:45

The BEPS project shows progress: the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS (MLI) was signed by 67 countries on 7 June 2017. Norway’s Minister of Finance, Siv Jensen, signed the convention on behalf of Norway, however, neither the Department of Finance nor OECD has published Norway’s selections in relation to the MLI nor which tax treaties are to be comprised by the changes. The information is expected to be published upon issuance of a Proposition to the Parliament.  

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Areas of interest: Corporate tax

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