New obligations of the Belgian UBO register
In our previous newsflash, we already informed you about the new (disclosure) obligations in the UBO-register imposed by the Royal Decree of 23 September 2020. Our experience shows us that, as it was previously not required by the Law, for many companies currently not all information on intermediary entities has been recorded in the UBO-register
Annual confirmation of information in the Belgian UBO register
We refer to our previous communication regarding the Belgian UBO register. Under the anti-money laundering legislation, all companies, (international) non profit organisations, foundations, trusts and legal entities comparable to trusts under Belgian law had to register their ultimate beneficial owners in the Belgian UBO register by 31 December 2019 at the latest. In addition to
Frequently Asked Questions on Belgian UBO register: new update
In previous news flashes we already informed you about the implementation of the UBO register, the extension of the first registration deadline and a first update of the frequently asked questions. After a first update on 2 April 2019, the Federal Public Service Finance (FPSF) published a new version of the frequently asked questions (FAQ) on
New information (FAQ) on the Belgian UBO-register
We already informed you about the introduction and extension of the deadline of the register of Ultimate Beneficial Owners (UBO-register). On 2 April 2019 the Federal Public Service Finance (FPSF) published an updated version of the document with frequently asked documents (FAQ). The updated FAQ clarifies, amongst others: Who to register as UBO in