Individual taxation

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We were asked to analyse the Luxembourg tax consequences of the migration to Luxembourg of an individual currently tax resident in another EU Member-State.

This person was receiving already carried-interest from a Luxembourg company. He was also already shareholder of that Luxembourg company.

On the migration , we applied the step-up in value on the assets he was holding as an individual.

We analyzed the Luxembourg tax treatment of the different ways to pay him the carried-interest.

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