These crooks have been chasing money all over the world for 20 or more years. This is the true nature of what the Netherlands is: a tax farm. 80-90% goes to taxes of all kinds.
Netherlands entrepreneur explains the 'conserverende aanslag' exit tax: when a founder emigrates, the Dutch state treats it as a fictional sale of company shares and issues a real tax assessment on unrealized gains — even with zero liquidity event. Example: €6M valuation triggers €2M in Box 2 tax owed, with payment 'deferred' but creating a permanent government claim on the company. The claim can be activated later if the founder distributes dividends, restructures, sells shares, or violates compliance conditions.
Tax authority uses DCF models and EBITDA multiples to value goodwill — quantifying the founder's personal reputation, relationships, and client trust — before permitting exit. The system creates behavioral lock-in: founders consider leaving before growth accelerates, suppressing valuation, or relocating to Dubai, Singapore, Switzerland, Miami, or Cyprus. 'At some point it stops resembling taxation and starts resembling permissioned mobility,' the author writes. 'Politicians claim they want innovation and entrepreneurship. But the moment a founder becomes globally mobile and valuable, the state says: Not so fast.'
These crooks have been chasing money all over the world for 20 or more years. This is the true nature of what the Netherlands is: a tax farm. 80-90% goes to taxes of all kinds.
I don’t even know what this is declaring!
Anyone selling their business in order to leave will have to pay yuuge taxes.
Netherlands entrepreneur explains the 'conserverende aanslag' exit tax: when a founder emigrates, the Dutch state treats it as a fictional sale of company shares and issues a real tax assessment on unrealized gains — even with zero liquidity event. Example: €6M valuation triggers €2M in Box 2 tax owed, with payment 'deferred' but creating a permanent government claim on the company. The claim can be activated later if the founder distributes dividends, restructures, sells shares, or violates compliance conditions.
Tax authority uses DCF models and EBITDA multiples to value goodwill — quantifying the founder's personal reputation, relationships, and client trust — before permitting exit. The system creates behavioral lock-in: founders consider leaving before growth accelerates, suppressing valuation, or relocating to Dubai, Singapore, Switzerland, Miami, or Cyprus. 'At some point it stops resembling taxation and starts resembling permissioned mobility,' the author writes. 'Politicians claim they want innovation and entrepreneurship. But the moment a founder becomes globally mobile and valuable, the state says: Not so fast.'
SOURCE: https://x.com/walter_h_g_/status/2056851195206189525