ARTICLE
2 March 2026

Dividends And Beneficial Ownership Of Income (Video)

KP
KP Disputes

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KP Disputes is Kazakhstan’s first boutique law firm fully dedicated to resolving tax and customs disputes. We handle complex cases daily, staying on top of emerging court trends to secure a competitive edge for our clients. Our Partners actively manage high-stakes matters, supported by a dedicated legal team
On February 18, 2026, at the BEPS Academy, Ravil Kassilgov and Rustam Vakhitov analyzed a recent court case on defending the actual right to income when paying dividends to the Netherlands.
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On February 18, 2026, at the BEPS Academy, Ravil Kassilgov and Rustam Vakhitov analyzed a recent court case on defending the actual right to income when paying dividends to the Netherlands.

⚡️ How not to lose tax benefits when paying dividends abroad?

Court practice is changing the rules of the game. Tax authorities are demanding more and more evidence of actual income rights (AIR) and the existence of real "substance" from foreign companies.

Want to understand how to protect your business? We invite you to take the course "International Taxation: From Basics to Tax Planning"!

🎙 Speaker: Ravil Kassilgov, managing partner at KP Disputes, expert in tax disputes.

What can you expect?

🔹 No dry theory — only practice and analysis of real court cases (Kazakhstan, Russia, Netherlands).
🔹 Detailed analysis of PPT and SLOB tests within the MLI.
🔹 Instructions: how to prove that your holding company is not just a "transit stool."
🔹 Secrets of building secure international structures.

🗓 Start: March 24, 2026.

🎓 Format: Online on the BEPS Academy platform.

The number of places is limited. Hurry up and join the professional community!

👉 Registration and course program at the link: https://beps.academy/mno26_Kazakhstan

📱 Or just scan the QR code! Use the code KPDISPUTES10 to get a 10% discount.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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