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Pension accrual abroad; no double levy


You have built pension abroad for which you the premium not in calculation has been possible bring, then mean this that be levied there on the basis of the law salaries tax tax concerning the benefits. This is not correct since you have tax advantage also no enjoy. On the basis of the salaries tax benefits belong in pursuance of a pension benefit to remunerations. Revendications on future benefits also belong to remunerations, these are only excluded of imposition, since they are charged at the benefit stage. The rule is therefore pension in advancement has not been charged and pension at the benefit stage has been, however, charged. To pension accrual abroad and benefit in the Netherlands applies also that the benefit is charged. Not correct, as we noticed already in the decision of 6 augusts 2002 the Minister for Finance have decided that this situation is undesirable. There double levy arises (firstly concerning the remunerations and then once more concerning the benefit). The minister has decided that for the revendications which have been abroad built, and about which you have no tax calculation enjoy, at the benefit stage no tax is chargeable if you want know gladly more concerning your pension accrual concerning your stay abroad. Consult then your consultant. These can tell about this more you.
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