Voorbeelden van het gebruik van Fscs in het Engels en hun vertalingen in het Nederlands
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The Belgian Tax scheme for FSCs.
The FSCS only pays compensation for financial loss.
Our rules set out the protection FSCS can provide.
The FSCS covers business conducted by firms authorised by the FCA.
Retail client funds are protected by FSCS up to£ 50,000.
FSCS is free to consumers
Will the Financial Services Compensation Scheme(FSCS) still apply to my policy?
The US legislation on FSCs was repealed in September 2000 following unfavourable rulings by WTO IP/02/53.
Follicle cells are the progeny of follicle stem cells(FSCs), which also reside in the germarium.
The FSCS is the compensation fund of last resort for customers of authorised financial services firms.
ceases trading, the FSCS may be able to pay compensation to its customers.
The Commission decided to open formal proceedings in respect of the tax treatment of US foreign sales corporations(FSCs) established in Belgium212.
As a fund of last resort there are limits to what FSCS can do,
FSCs established in Belgium may apply to the Belgian tax authorities to have their taxable in come calculated as a fixed percentage of their ex penditure using the'cost plus' method.
CAF is a member of the Financial Services Compensation Scheme(FSCS), the UK's deposit guarantee scheme.
The Belgian scheme was introduced to attract the location of FSCs by exempting their activities from local taxation so as to increase their international competitiveness in the EU single market.
Remain eligible for the protection under the Financial Services Compensation Scheme(FSCS) if they are a private individual.
The ActivTrades Excess of FSCS Insurance is subject to the Terms and Conditions of the policy wording,
However, the Commission considers that the Belgian-FSC scheme reduces the normal tax burden that FSCs or the multinational groups to which they belong would face.
transactions between affiliated companies, which are excluded from the tax base of FSCs.
It considered that the Belgian-FSC scheme offered excessive benefits to the FSCs and the multinational groups to which they belonged,
of the EC Treaty in respect of the tax scheme applying to US foreign sales corporations(FSCs) located in Belgium.
The Belgian regime was introduced to attract the location of FSCs by exempting their activities from local taxation so to increase their international competitiveness in EU's single market.
The Commission's investigation confirmed that the tax advantages granted under the scheme constituted a selective measure benefiting only FSCs' subsidiaries and branches operating under the above-mentioned agreements.
The scheme only applied to Belgian subsidiaries or establishments of FSCs operating within a multinational group of companies,
However, the Commission's investigation has revealed that the tax advantages granted under the regime constitute a selective measure benefiting only FSCs' subsidiaries and branches operating under the above-described agreements.
The scheme only applies to Belgian subsidiaries or establishments of FSCs operating within a multinational group of companies, provided that such FSCs have obtained a special ruling from Belgium's tax authorities.
The FSCS covers business conducted by firms authorised by the Financial Services Authority(FSA), the independent watchdog
Following its formal State aid examination of the Belgian regime for United States' Foreign Sales Corporations(FSCs) initiated on 9 April 2002(IP/02/519), the Commission has adopted a final negative decision on the tax scheme.
The FSCS covers business conducted by firms authorised by the FinancialConduct Authority(FCA), the independent watchdog