Latest Newsletters & Newsflashes
Feb 25, 2026Infographic | Luxembourg's carried interest tax regime
The Law of 3 February 2026 introduces a competitive carried interest regime applicable from fiscal year 2026, with the ambition of attracting front and middle office employees to Luxembourg. With this new legislation, Luxembourg firmly establishes itself as Europe’s premier destination for carried
Feb 12, 2026Infographic | Luxembourg impatriate tax regime for highly skilled employees
Luxembourg offers an attractive tax regime for impatriate employees who are either seconded to a Luxembourg company within an international group or directly recruited from abroad by a Luxembourg or EEA company. The regime provides for a 50% exemption of annual gross remuneration, capped at EUR 400
Jan 28, 2026VAT I Circular on VAT treatment of company cars made available to employees
The Luxembourg VAT authorities have published Circular No. 807-1 dated 21 October 2025, repealing Circular 807bis of 28 April 2023 and providing important clarifications on the VAT treatment of company cars made available to employees, further to the Court of Justice of the European Union’s judgment
Jan 28, 2026Withholding tax I Tax exemption for qualifying Sovereign Bonds enters into force
On 19 December 2025, Luxembourg enacted the law amending (i) the law of 4 December 1967 concerning income tax (the “ LITL”) and (ii) the law of 23 December 2005 introducing a final withholding tax on certain interest income earned on savings (the “ Relibi Law”). The law was published in the Journal
Jan 28, 2026Newsflash I Competitive carried interest tax regime formally adopted
On 22 January 2026, the Luxembourg Parliament ( Chambre des Députés) adopted Draft Law No. 8590 introducing a competitive carried interest regime as from fiscal year 2026 with the ambition to attract front and middle office employees to Luxembourg. Key features The new regime covers two distinct
Jan 28, 2026Double tax treaty I Luxembourg - Georgia - Protocol amending the double tax treaty
On 3 July 2025, Luxembourg and Georgia signed a protocol (the “ Protocol”) amending the double tax treaty originally signed on 15 October 2007 (the “ DTT”). The ratification of the Protocol is currently pending in Luxembourg. The draft law, approving the Protocol, was published on 10 December 2025
Jan 28, 2026Income tax | Draft Law on the introduction of a single tax class
Key takeaways On 6 January 2026, the Luxembourg Government has issued a major tax reform draft law (the “ Draft Law”) introducing a single personal income tax class (" classe d'impôt unique ") shifting the present tax system to individual taxation as the default-regime and which will be running over
Jan 27, 2026Double tax treaty | Luxembourg - Albania
On 14 January 2009, Luxembourg and the Republic of Albania signed a treaty for the elimination of double taxation with respect to taxes on income and on capital and the prevention of tax evasion and avoidance (the “ DTT”). The DTT had however never been ratified due to a change in convention policy
Jan 27, 2026Double tax treaty | Luxembourg - Montenegro
On 29 January 2024, the Grand Duchy of Luxembourg and Montenegro signed a treaty for the elimination of double taxation with respect to taxes on income and on capital and the prevention of tax evasion and avoidance (the “ DTT”). The DTT was approved by the Grand Duchy of Luxembourg by the law of 18
Jan 27, 2026Start-Up Investments | Tax credit for individuals: final law adopted
On 17 December 2025, the Luxembourg Parliament adopted the law introducing a tax credit for private individuals investing in innovative start-ups (the Law of 19 December 2025, the “ Law”). The Law applies as from tax year 2026. This Law follows Draft Law No. 8526 , submitted to the Luxembourg
Jan 27, 2026EU letter of formal notice | Discriminatory tax regime applicable to public dividends
In December 2025, the European Commission issued a letter of formal notice to Luxembourg concerning the failure to abolish a discriminatory tax regime applicable to dividends derived from public investments. The contested regime allows for an exemption of the Luxembourg 15% withholding tax on
Jan 21, 2026International Taxation I Council modernises cooperation agreements with Switzerland, Liechtenstein, Andorra, Monaco and San Marino
Since 2015, the EU has engaged in tax cooperation exchanges with third countries as part of its efforts to promote transparency and international tax cooperation. These exchanges have so far been based on traditional financial account information relating to individuals, in line with the OECD Common
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