Anti-deferral rules
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Belgium
CFC
A CFC-regime (Model B) has been introduced as of January 1, 2019 (assessment year 2020) in compliance with the EU Anti-Tax Avoidance Directive 2016/1164 of July 12, 2016. Belgium switched to the Model A CFC-regime as of assessment year 2025.
Under the entity approach (Model A) member states are required to directly attribute certain predefined categories of passive income to the taxpayer, while under the transactional approach (Model B) member states are only required to directly attribute to the taxpayer the undistributed profit resulting from non-genuine arrangements that have been put in place for the essential purpose of tax avoidance or tax evasion.
The change to the Model A CFC-regime is expected to have a substantial impact in practice.