Booking.com B.V.

Companies & groups · NL

Kategorija
Companies & groups
Būstinė
Amsterdam NL
Registruota
2014-12-16
Deklaruotos metinės išlaidos
300 000–399 999 € (pačios deklaruota)
Svetainė
http://www.booking.com
Skaidrumo registras
146537115285-34 ↗
Susitikimai su EK
Pateiktos pozicijos
Pozicijos dokumentai
0
Paminėjimai spaudoje
Sumą deklaruoja pati organizacija Skaidrumo registre; institucijos jos netikrina.

Susitikimai pagal metus

2018120201720216202232023120243202534202612

Šaltinis: Europos Komisijos skelbiami susitikimai, sutapatinti pagal skaidrumo registro numerį. n = 77 susitikimų; x — metai pagal susitikimo datą, y — susitikimų skaičius.

Susitikimai su Europos Komisija

Skelbiami tik susitikimai su Komisijos nariais, jų kabinetais ir generaliniais direktoriais. Susitikimai žemesniu lygiu ir daugelis kontaktų Parlamente bei Taryboje į registrą nepatenka.
DataPriėmėTema
2026-06-24Cabinet of Executive Vice-President Teresa Ribera RodríguezAffordable Housing Act
2026-06-24Cabinet of Executive Vice-President Teresa Ribera RodríguezAffordable Housing Act
2026-06-23Cabinet of Commissioner Wopke HoekstraEuropean Tech Alliance’s broader competitiveness agenda, The upcoming tax omnibus, The future Circular Economy Act
2026-06-23Cabinet of Commissioner Wopke HoekstraEuropean Tech Alliance’s broader competitiveness agenda, The upcoming tax omnibus, The future Circular Economy Act
2026-06-23Cabinet of Commissioner Wopke HoekstraEuropean Tech Alliance’s broader competitiveness agenda, The upcoming tax omnibus, The future Circular Economy Act
2026-06-23Cabinet of Commissioner Wopke HoekstraEuropean Tech Alliance’s broader competitiveness agenda, The upcoming tax omnibus, The future Circular Economy Act
2026-06-23Cabinet of Commissioner Wopke HoekstraEuropean Tech Alliance’s broader competitiveness agenda, The upcoming tax omnibus, The future Circular Economy Act
2026-06-03Cabinet of Executive Vice-President Henna VirkkunenDFA / Digital 0mnibus / DMA
2026-06-03Cabinet of Executive Vice-President Henna VirkkunenDFA / Digital 0mnibus / DMA
2026-06-03Cabinet of Executive Vice-President Henna VirkkunenDFA / Digital 0mnibus / DMA
2026-02-05Mobility and TransportExchange of views on Booking.com’s upskilling/reskilling training initiative and discussion on potential contribution to the European Commission’s objectives under the Sustainable Tourism Strategy.
2026-02-05Mobility and TransportExchange of views on Booking.com’s upskilling/reskilling training initiative and discussion on potential contribution to the European Commission’s objectives under the Sustainable Tourism Strategy.
2025-12-09Cabinet of Commissioner Apostolos TzitzikostasExchange of views
2025-11-18Cabinet of Executive Vice-President Teresa Ribera RodríguezDigital Markets Act (DMA), EU competition policy and travel industry trends
2025-11-18Taxation and Customs UnionPhysical meeting - Exchange on the current geopolitical environment on EU tax policy, European competitiveness and share Booking experience
2025-11-18Cabinet of Executive Vice-President Teresa Ribera RodríguezDigital Markets Act (DMA), EU competition policy and travel industry trends
2025-11-06Cabinet of Executive Vice-President Henna VirkkunenEU Digital Policy
2025-10-01Justice and Consumers…exchange of views on Package Travel Directive and the Digital Fairness Act
2025-06-23Cabinet of Commissioner Valdis DombrovskisSimplification
2025-05-14Cabinet of Executive Vice-President Henna VirkkunenSimplification agenda and transatlantic relations
2025-05-14Internal Market, Industry, Entrepreneurship and SMEsExchange of views on the new research paper by Booking “Booking.com note on European competitiveness and regulation”.
2025-05-14Internal Market, Industry, Entrepreneurship and SMEsExchange of views on the new research paper by Booking “Booking.com note on European competitiveness and regulation”.
2025-04-01Communications Networks, Content and TechnologyExchange of views on AI Act, DSA, enforcement cooperation, digital taxation.
2025-04-01Communications Networks, Content and TechnologyExchange of views on AI Act, DSA, enforcement cooperation, digital taxation.
2025-04-01Communications Networks, Content and TechnologyExchange of views on AI Act, DSA, enforcement cooperation, digital taxation.
2025-03-25Cabinet of Executive Vice-President Stéphane SéjournéChallenges for European tech companies that want to leverage AI to compete globally. Need for a coherent, proportionate, and effectively enforced regulatory framework that increases the competitiveness of European…
2025-03-25Cabinet of Executive Vice-President Stéphane SéjournéChallenges for European tech companies that want to leverage AI to compete globally. Need for a coherent, proportionate, and effectively enforced regulatory framework that increases the competitiveness of European…
2025-03-19Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 4
2025-03-19Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 4
2025-03-19Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 4
2025-03-11Cabinet of Executive Vice-President Stéphane SéjournéImplementation of the STR Regulation
2025-03-11Cabinet of Executive Vice-President Stéphane SéjournéImplementation of the STR Regulation
2025-03-04Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 1
2025-03-04Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 1
2025-03-04Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 1
2025-03-04Communications Networks, Content and TechnologyCode of Conduct on Online Advertising – Workshop 1
2025-02-11Cabinet of Executive Vice-President Stéphane SéjournéCompetitiveness
2025-02-11Cabinet of Executive Vice-President Stéphane SéjournéCompetitiveness
2025-02-06Cabinet of President Ursula von der Leyen…competitiveness
2025-02-05Cabinet of Executive Vice-President Stéphane SéjournéCompetitiveness in the EU
2025-02-05Cabinet of Executive Vice-President Stéphane SéjournéCompetitiveness in the EU
2025-02-05Cabinet of Commissioner Apostolos TzitzikostasPossible cooperation on Code of Conduct for Internet reviews; digitalization of SMEs in the Tourism sector; future Strategy for Sustainable tourism.
2025-02-04Justice and ConsumersExchange of views on consumer protection policies and on new legislative initiatives
2025-01-30Cabinet of Commissioner Apostolos TzitzikostasPreparation forthcoming meeting with the Commissioner
2025-01-22Cabinet of Commissioner Michael McGrathExchange of views on initiatives in the field of consumer protection
2025-01-21Cabinet of Commissioner Wopke HoekstraExchange of views on various taxation files.
2024-05-15Cabinet of Executive Vice-President Margrethe VestagerDigital policy and AI regulation, competitiveness of the EU in digital and tech
2024-04-19Cabinet of Commissioner Thierry BretonPlatform regulation
2024-03-22Taxation and Customs UnionVideo-conference - Discussion on platform economy pillar of the VAT in the Digital Age (ViDA) proposal
2023-05-25Cabinet of Commissioner Paolo GentiloniVAT in the digital age (with Erik Burckhardt)
2022-12-13Cabinet of Commissioner Didier Reynders…presentation by Booking of their efforts to enable greener choices in the travel sector, their Travel Sustainable Badge, empowering consumers in the green transition
2022-01-21Cabinet of Executive Vice-President Valdis DombrovskisDiscussion in light of the October OECD statement and the agreement on digital services taxes
2022-01-21Cabinet of Executive Vice-President Valdis DombrovskisDiscussion in light of the October OECD statement and the agreement on digital services taxes
2021-11-08Cabinet of Commissioner Thierry BretonDigital Markets Act - Tourism
2021-10-27Cabinet of Commissioner Thierry BretonState of the tourism ecosystem and gatekeepers regulation
2021-06-16Cabinet of Executive Vice-President Valdis DombrovskisDigital levy
2021-06-16Cabinet of Executive Vice-President Valdis DombrovskisDigital levy
2021-06-16Cabinet of Executive Vice-President Valdis DombrovskisDigital levy
2021-06-16Cabinet of Executive Vice-President Valdis DombrovskisDigital levy
2020-12-02Cabinet of Commissioner Thierry BretonRoundtable with platforms on DSA and DMA
2020-12-02Cabinet of Commissioner Thierry BretonRoundtable with platforms on DSA and DMA
2020-12-02Cabinet of Commissioner Thierry BretonRoundtable with platforms on DSA and DMA
2020-11-23Cabinet of Executive Vice-President Margrethe VestagerDigital Services Act
2020-11-12Cabinet of Commissioner Thierry BretonDMA and pact for skills
2020-10-29Cabinet of Commissioner Nicolas SchmitPact for Skills Roundtable with the tourism sector
2020-10-29Cabinet of Commissioner Thierry BretonPact for Skills: Roundtable with tourism sector
2020-10-29Cabinet of Commissioner Nicolas SchmitPact for Skills Roundtable with the tourism sector
2020-10-29Cabinet of Commissioner Thierry BretonPact for Skills: Roundtable with tourism sector
2020-10-29Cabinet of Commissioner Thierry BretonPact for Skills: Roundtable with tourism sector
2020-10-29Cabinet of Commissioner Thierry BretonPact for Skills: Roundtable with tourism sector
2020-10-29Cabinet of Commissioner Nicolas SchmitPact for Skills Roundtable with the tourism sector
2020-08-27Communications Networks, Content and TechnologyPatronage vouchers
2020-06-11Cabinet of Commissioner Thierry BretonRecovery of the tourism sector and role of online platforms
2020-05-28Communications Networks, Content and TechnologyImpact of COVID-19 (virtual)
2020-04-20Cabinet of Executive Vice-President Margrethe VestagerTo discuss the digital potential for the wider economy and society
2020-01-23Cabinet of Commissioner Paolo GentiloniDigital taxation
2018-03-07Taxation and Customs UnionMeeting to discuss digital taxation

Ką pateikė viešoms konsultacijoms

2026-02-10 · EU rules on administrative cooperation - recast ↗ originalus šaltinis
Booking.com welcomes the European Commission's simplification agenda and the intention to address regulatory complexities, overlaps and fragmentation, including those raised in the application of the Directives on Administrative Cooperation (DAC). We believe there is an opportunity to streamline requirements, thus also creating the conditions to deliver more effectively the desired policy outcomes. We strongly support the Commissions intention for a comprehensive evaluation of the DAC from DAC1 to DAC9. In particular, we believe simplifications to DAC7 can create the biggest impact for businesses and unlock competitiveness without jeopardising the value and usefulness of data provided to…
2025-10-16 · VAT package on travel and tourism ↗ originalus šaltinis
Booking.com welcomes the opportunity to provide input to the European Commission's call for evidence on VAT applicable to travel and tourism sectors and the European Commissions aims to reform the VAT rules for Travel and Tourism in line with the digital age and the evolving operating models of the travel sector. As a global travel platform founded and headquartered in the Netherlands, Booking.com is aligned to the European Commissions objectives to enhance the competitiveness of the EU and ensure a level playing field between industry players regardless of their origin. We consider that reforms to the special VAT scheme for travel agents and tour operators (TOMS) can help achieve these…
2023-03-22 · Further specifying procedural rules relating to the enforcement of the General Data Protection Regulation ↗ originalus šaltinis
Booking.com welcomes the opportunity to provide feedback on the call for evidence on the proposal on specifying procedural rules for the enforcement of the General Data Protection Regulation (GDPR). As a global online travel agency, Booking.com provides accommodation and other travel services such as flights, car rentals and attractions to travelers in Europe and beyond. We are also processing personal data across borders in full consideration of the GDPR. Based on our experience with the application of the GDPR, we believe that the general procedures based on the one-stop-shop (OSS) principle deserve a positive assessment as they increase efficiencies in the interactions between…

Ką rašo savo pozicijos dokumentuose

Ištraukos iš organizacijos pačios įkeltų dokumentų, be trumpinimų ir perpasakojimų.
EU rules on administrative cooperation - recast · 5 p.

​​ ​ ​ ​ Contribution to public consultation on EU rules on administrative cooperation in the field of taxation (DAC) February 2026 The European Commission’s Competitiveness Compass, presented in January 2025, sets simplification of EU regulation as one of the enablers of European competitiveness across all sectors. Booking.com welcomes the intention to address regulatory complexities, overlaps and fragmentation, including those raised in the application of the Directives on Administrative Cooperation (DAC). We believe there is an opportunity to streamline requirements, thus also creating the conditions to deliver more effectively the desired policy outcomes. We strongly welcome the Commission’s intention for a comprehensive evaluation of the DAC from DAC1 to DAC9.

We strongly welcome the Commission’s intention for a comprehensive evaluation of the DAC from DAC1 to DAC9. In particular, we believe simplifications to DAC7 can create the biggest impact for businesses and unlock competitiveness without jeopardising the value and usefulness of data provided to Member States’ tax authorities. DAC7 as well as ViDA, CESOP and DSA have tried to tackle tax gaps and increase transparency in business user activity from different perspectives, introducing reporting requirements or collect and remit obligations that duplicate or conflict with one another, making compliance complex and creating significant administrative burdens for reporting platforms but also reportable businesses which are in their majority micro or SMEs. At the same time, diverging national rules and lack of uniform enforcement reduce legal certainty and increase compliance burdens.

…time, diverging national rules and lack of uniform enforcement reduce legal certainty and increase compliance burdens. As policy-makers are working towards this recast and a Tax Simplification Omnibus, we believe this is a unique opportunity to address these concerns. Booking.com is available to provide further input to the discussions based on our experience with legislation in practice. The DAC7 challenge and the need for simplification DAC7 (applying as of January 2023) requires platforms to share detailed information about some of their business partners (in Booking.com’s case mainly providers of short-term rentals) and transactions across the EU. This information is then exchanged between Member States.

…of short-term rentals) and transactions across the EU. This information is then exchanged between Member States. Gathering that information and reporting it to the relevant national tax authority, within the timelines set out in the Directive, is a significant undertaking for reporting businesses. Indicatively, it took the involvement of more than 10 teams, and more than 100 Booking.com employees over almost 3 years to prepare the business for compliance. We outline below our recommendations about how we can remove complexities in DAC7 implementation and enable more streamlined reporting while still serving the objective of the law: 1 Ref.

…in DAC7 implementation and enable more streamlined reporting while still serving the objective of the law: 1 Ref. Ares(2026)1491517 - 10/02/2026 ​​ ​ ​ ​ a.​ Simplify the list of data points required to address excessive data reporting Under DAC7, platforms such as Booking.com are required to request and collect data which appears excessive to the aims of the Directive. For example: 3 forms of business ID for each partner or some personal details such as Place of Birth which differ in format between Member States and may add very little to Member States ability to investigate traders given they already have the name, address and identification number of the trader. Furthermore, many Member States have not implemented sufficient systems for reporting businesses to verify or validate this data before submitting to the tax authorities.

…sufficient systems for reporting businesses to verify or validate this data before submitting to the tax authorities. We believe it is necessary to create one source of truth for verification and validation across the EU (perhaps managed by the European Commission). Excessive data reporting results in the increased requirement for data collection, storage, validation, verification and testing with tax authorities and each of these processes requires significant investment in communications and data collection infrastructure by platforms. Data points that are not strictly necessary but are required under DAC7 result in significant additional compliance costs for businesses across the EU.

…necessary but are required under DAC7 result in significant additional compliance costs for businesses across the EU. In this light we recommend that only three data points are required for reporting: 1)​ the name of the individual or business; 2)​ the Tax Identification Number (TIN); and 3)​ The registered business address or personal address. These three elements allow the tax authorities to identify the relevant tax payer and obtain sufficient information to carry out relevant further investigations. Other elements that are currently required such as the VAT registration number, Business registration number, Date of Birth, Place of Birth are attainable via reporting of the TIN.

…number, Business registration number, Date of Birth, Place of Birth are attainable via reporting of the TIN. The rationalisation of the list of data points required will result in a significant relief of the administrative burden for reporting and reportable businesses, allowing them to focus on delivering the experience travelers and businesses desire. In addition, we understand that the Commission has been considering removing the requirement for platforms to report on very large sellers as a simplification measure for platforms. This would be in addition to the existing exclusion for properties that accept more than 2000 bookings per annum. It is our view that such a change would not provide any significant savings for platforms or the large sellers.

…annum. It is our view that such a change would not provide any significant savings for platforms or the large sellers. Differentiating between large and small sellers would require further regular monitoring of sellers’ sales volumes by platforms and could lead to errors. In our view, reducing the number of data points in each seller rather than reducing the number of sellers would bring about the most savings for both platforms, sellers and tax authorities. b.​ Remove duplication of reporting requirements With national requirements 2 ​​ ​ ​ ​ The EU level implementation and sharing of data should in principle remove the need for separate reporting of the same or similar information at national level.

…data should in principle remove the need for separate reporting of the same or similar information at national level. However, businesses like Booking.com are still being asked to separately report in other Member States (such as Austria, Ireland or Spain) based on national (and even regional or local) legislation predating DAC7 which has not been yet withdrawn. This results in double reporting in different formats but also frequency, adding significant administrative burdens on reporting platforms. For example, in Austria, under VAT law, we are subject to an annual reporting requirement of data similar to the DAC7 (the name, address, VAT or TIN, bank account number of the seller; the consideration; etc.). We have also seen national implementation adding the reporting of land registration numbers (LRN) relevant to the property as listed on accommodation platforms.

…adding the reporting of land registration numbers (LRN) relevant to the property as listed on accommodation platforms. Tax Authorities have incorrectly used LRNs to assess tax on individuals who are not in receipt of the relevant income. For example, a host may be a relative of the property owner or the LRN may refer to a number of properties each with separate owners and therefore tax will be wrongly assessed. We suggest that the Commission clarify that LRNs should not be the lone source of information to look for non-compliant hosts. In order to simplify and streamline reporting, we recommend that DAC7 clarifies that reporting requirements under DAC7 supersede reporting requirements for platforms and reportable businesses under similar national schemes.

…under DAC7 supersede reporting requirements for platforms and reportable businesses under similar national schemes. In such instances, affected Member States should be able to use the data sharing provisions under DAC7 to request relevant data from the platform’s resident Member State. With the DSA In addition, under both DAC7 and DSA (Art. 30 Traceability of traders), we are required to request and verify much the same data twice and do this at different timing based on the distinct timelines provided in the DSA and DAC7. For example, under DAC7 we are required to capture the Place of Birth of the trader but this is not required for DSA. Additionally, under the DSA we have to make it available on our website but then under DAC7 we also have to report it to authorities.

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originalus šaltinis (PDF) ↗

Kokias ES temas nurodo sekanti

Digital policy, including initiatives linked to platform regulation, Competition, Consumer protection, Privacy/Data protection and data-related initiatives, Taxation, Payment Regulation, AI, initiatives linked to tourism such as Package Travel Directive and Passenger Rights Regulation as well as initiatives on sustainable tourism, STR-related regulation.