Amendment of Section 2C of the Danish Corporation Tax Act regarding reclassification of transparent entities

Published 14 April 2025

PrintCategory: Taxation / VAT

Section 2C of the Danish Corporation Tax Act regards the situation where a Danish corporate entity which is considered transparent for Danish tax purposes (e.g. a limited partnership) is treated as a tax opaque entity (an independent tax subject) in the jurisdiction(s) of its owner(s) (as well as certain other scenarios). In such cases, and under certain conditions, the Danish transparent entity is reclassified to an independent tax subject (and becomes subject to ordinary corporate taxation) under Danish law to eliminate the unintended tax advantages resulting from the asymmetric tax classifications.

On 9 April 2025, a new bill was introduced according to which it is proposed to implement certain adjustments to Section 2C of the Danish Corporation Tax Act.

Section 2C currently in force

According to the provision, a Danish tax-transparent entity (i.e. that is either required to register, have its statutory domicile or the seat of its management in Denmark) shall be reclassified to an independent tax subject under Danish law, if one or more “related parties” of the Danish entity, who collectively, directly or indirectly, hold at least 50% of the voting rights, capital, or the economic interests of the entity:

  • are domiciled in jurisdictions that consider the entity to be an independent tax subject,
  • are domiciled in jurisdictions that do not exchange information with the Danish authorities, or
  • are direct owners and are domiciled in one or more jurisdictions outside EU that do not have a double taxation agreement with Denmark, where withholding taxes on dividends to companies are to be waived or reduced.

“Related party” is defined in Section 8C, subsection 1, no. 17, of the same Act, and in the context of Section 2C, this includes (among others) an individual or an independent tax subject who, directly or indirectly, holds minimum 50% of the voting rights, shares or economic interest in the Danish entity.

The purpose of Section 2C of the Danish Corporation Tax Act is to deal with asymmetric tax classifications of certain Danish entities that are treated as transparent for Danish tax purposes (e.g. limited partnerships) but regarded as non-transparent in the jurisdiction(s) of their owner(s). Such mismatches in classification can give rise to unintended tax advantages, including non-taxation of income (if, for instance, under the laws of the jurisdiction of the owner of the Danish entity, the income shall be taxed in the Danish entity, but under Danish law, the entity is not a tax subject).

Proposed amendments

The intended effect of the proposed amendments set out in the new bill is that certain scenarios currently not covered by the provision will be covered as well. Today, the provision allows a group to establish a structure whereby up to half of the taxable profit generated by a Danish entity — which is considered tax transparent under Danish law — is tax-free.

This could, for instance, be achieved by a foreign group dividing the ownership of a Danish limited partnership into two parts. One part (50.1%) is owned by a foreign group company domiciled in a jurisdiction that treats the Danish limited partnership as transparent for tax purposes, while the other part (49.9%) is owned by another foreign group company domiciled in a jurisdiction that treats the Danish limited partnership as an independent tax subject. Both group companies are owned by a common parent company domiciled in a jurisdiction that treats the Danish limited partnership as tax transparent. The provision will not apply in this structure, as the ownership interests that are subject to a classification mismatch equal only 49.9% of the share capital. Consequently, up to half of the profits of the limited partnership may not be subject to taxation, even though the limited partners are part of the same group.

Where owners, who are not related parties, act in concert with respect to their investment in the entity with the intention of securing partial tax exemption for one or more of the owners, the outcome is the same.

Accordingly, it is proposed to amend Section 2C of the Danish Corporation Tax Act to implement the following:

  • If the owners are related parties (i.e. part of the same group), then for the purpose of litra (a) above, each of them shall be deemed to hold all the voting rights or shares in the Danish entity held by the related parties collectively (i.e. the tax-transparent entity will be reclassified into an independent tax subject if they jointly hold minimum 50% of the voting rights or shares in the Danish entity, and just one of them is domiciled in a jurisdiction not treating the Danish entity as tax-transparent).
  • If individuals or independent tax subjects act in concert with other individuals or independent tax subjects in exercising voting rights or ownership of capital in the Danish entity, and the main purpose or one of the main purposes is to obtain the hybrid mismatch, then for the purpose of litra (a) above, each of these individuals and independent tax subjects shall be deemed to hold all the voting rights or shares held by them collectively.
  • as an exception to item (i), where related group entities (the owners), who meet the criteria set out in litras (a)-(c) above, directly hold less than 5% of the share capital or the economic interest in the entity, item (i) shall only apply, if the main purpose or one of the main purposes of the ownership structure is to obtain the hybrid mismatch.

The new bill can be found here.

Tags:  Venture Capital


Also tagged ‘Venture Capital’

10 Feb 2025 Trends

Shape of European VC 2024

byFounders, a Danish VC fund, have released their 2024 shape of the market update for the New Nordics.

Venture Capital
5 Feb 2025 Taxation / VATUpdates

New advance tax rulings expand the scope of carried interest taxation

According to two new advance tax rulings from the Danish Tax Assessment Council (SKM2025.46.SR and SKM2025.47.SR), under certain circumstances, investments directly in portfolio companies owned by a private equity or venture capital fund may also be subject to taxation under the carried interest taxation scheme.

Venture Capital
28 Jan 2025 Corporate RegulationUpdates

New bill regarding changes to access to information on beneficial owners submitted for consultation

On 23 January 2025, a draft bill regarding amendments to the Danish Act on the Central Business Register, the Danish Companies Act, and various other laws was submitted for consultation.

Venture Capital
20 Jan 2025 Trends

VC Market Update – The Outlook for 2025

2024 was a year of rising investments in the global venture capital scene compared to bleak 2023.

Venture Capital
20 Dec 2024 Corporate RegulationUpdates

Repeal of rules regarding shareholder loans and other amendments to the Danish Companies Act

On 19 December 2024, the Danish Parliament has adopted the amendment acts L71 and L72 regarding amendments to the Danish Companies Act and other Danish laws.

Venture Capital
19 Dec 2024 Taxation / VATUpdates

Abolition of the ‘entrepreneur tax’ and other changes to Danish tax legislation adopted

On 19 December 2024, amendments to the Danish Corporation Tax Act, the Danish Capital Gains Tax Act and the Danish Personal Tax Act, as well as other Danish tax laws, were adopted by the Danish Parliament.

Venture Capital
28 Jun 2024 Taxation / VATUpdates

Proposal for new strategy on entrepreneurship in Denmark

As set out in Pulse update on 13 June 2024, the Danish government has presented a proposal regarding entrepreneurship in Denmark, which includes initiatives aimed at creating better access to capital for startups, cutting the burden of red tape on business and certain relaxation of taxes.

Venture Capital
13 Jun 2024 Taxation / VATUpdates

Proposal for new strategy on entrepreneurship in Denmark

On 12 June 2024, the Danish government presented a proposal regarding entrepreneurship in Denmark, which includes initiatives aimed at creating better access to capital for startups and certain relaxation of taxes.

Venture Capital
8 May 2024 Trends

Market update – New Nordics Q1 2024

byFounders has published their Q1 market update for 2024. Key takeaways include: Several fundraising rounds were announced in Q1 2024, including 18 pre-seed, 35 seed, and 10 Series A rounds. This is an increase from a total of 40 to 63 rounds compared to Q1 2023. The capital invested in the New Nordics increased from […]

Venture Capital
6 Nov 2023 Trends

The time between investment rounds has increased

According to new data from Carta, time between primary US venture rounds is getting longer.

Venture Capital
17 Oct 2023 Trends

California passes law mandating VC firms to release investments’ diversity information

In the first ever US law aiming at increasing diversity within the venture capital landscape, the Californian governor has signed SB 54 into law.

Venture Capital
17 Oct 2023 Trends

Senior liquidation preferences create tensions between VCs

A new PitchBook analysis show that senior liquidation preferences create tension between collaborating VCs.

Venture Capital
17 Oct 2023 Trends

State of the private markets: Q3 2023

Carta has published a preview of their Q3 2023 private market report.

Venture Capital
17 Oct 2023 Trends

Deep dive into Q3 2023’s funding landscape

Jamesin Seidel, Investment Partner at the VC fund Chapter One, has analyzed Q3 data on the funding landscape from Crunchbase, based on US-based investments.

Venture Capital
12 Oct 2023 Trends

VCs believe the worst times are over

VCs believe the worst times are over   In Q4 2022, US-based venture capital funds experienced a sharp decline with an IRR of -16.8%, marking the asset class’s worst quarterly return in a decade. The downturn was attributed to the need for venture capital funds to devalue their late-stage portfolio companies, aligning them with comparable […]

Venture Capital
12 Oct 2023 Trends

Female GPs are an undervalued asset

A new 2023 report from European Women in VC highlight new findings of diverse investment teams in the growth and venture space.

Venture Capital
12 Oct 2023 Trends

LPs push GPs to tie fund fees to impact goals

As the markets have turned for more negotiation power with LPs, expectations are going green, according to PitchBook: LPs are demanding terms aligning managers of impacts funds more closely with their sustainability outcomes.

Venture Capital
12 Oct 2023 Trends

VCs shift focus to AI

Pitchbook’s Emerging Tech Indicator (ETI) tracks global investment activity across types of technologies, with special focus on successful VCs.

Venture Capital
12 Oct 2023 Trends

New venture report

Aumni, a J.P. Morgan company, have published a new first half 2023 venture report, showing the status of the private capital markets.

Venture Capital

Other updates

11 Apr 2025 Impact and ESGUpdates

Report on advancing sustainable finance

The EU Commission advisory body, Platform on Sustainable Finance, has published a report on advancing sustainable finance focusing on technical criteria for new economic activities and first review of the Commission Delegated Regulation (EU) 2021/2139.

Sustainability
28 Mar 2025 Financial RegulationImpact and ESGUpdates

The Danish FSA: Managers need to ensure truly sustainable investments

The Danish Financial Supervisory Authority (the “Danish FSA”) has initiated an inspection of three managers in September 2024.

SFDRSustainabilityThe Danish FSA
27 Feb 2025 Impact and ESGUpdates

The Omnibus package and its impact on EU’s ESG regulation

Yesterday, the European Commission revealed the proposal for the Omnibus Simplification Package.

CSDDDCSRDDisclosure RequirementsSustainability
20 Feb 2025 Financial RegulationUpdates

The Danish FSA has updated the report on fitness assessments

On 5 February 2025, the Danish FSA published a new and updated version of its report detailing its practice regarding the fitness assessment of board members, executive management members and key persons in financial businesses.

Danish RegulationGovernanceThe Danish FSA
11 Feb 2025 Corporate RegulationUpdates

EU Commission calls for review of certain outbound investments

On 15 January 2025, the European Commission issued a recommendation urging EU Member States to review investments out of EU for risks of enabling technology transfers/leakage into third countries (‘outbound investments’).

Cross-Border
7 Feb 2025 Updates

The Danish government has presented bills for implementing the NIS2 Directive and the CER Directive

On 6 February 2025, the bills for implementing the NIS2 Directive and the CER Directive were presented by the Danish government to the Danish Parliament.

CERCybersecurityNIS2