LexGo

EU Court of Justice rules on the limits of anti-abuse rules
12/06/2018

  • On 20 December 2017, the Court of Justice of the European Union (CJEU) decided on two cases involving German anti-abuse legislation that denies a (partial) exemption or refund of withholding tax on distributions made by German companies to foreign parent companies, confirming the Court’s previous jurisprudence.
  • The CJEU analysed the conformity of the German anti-abuse provision in regard to both the restrictions imposed by the EU Parent-Subsidiary Directive and the freedom of establishment, finding the German provision too restrictive.
  • The CJEU reconfirms that taxpayers are free to rely on their EU freedoms when structuring investments as long as the underlying contractual arrangements are not “wholly artificial arrangements” which do not reflect economic reality and the purpose of which is to unduly obtain a tax advantage.
  • The case law of the CJEU provides for clear guidelines regarding the design and interpretation of anti-abuse provisions in an EU context, contributing to legal certainty in the post-BEPS era.
  • On 4 April 2018, the German Ministry of Finance issued official guidance in response to the decision of the CJEU, but it remains to be seen how the German tax authorities will respond in practice.

To read the full article, please click here

Voir aussi : Atoz Luxembourg ( Mr. Olivier R. Hoor ,  Mr. Andreas Medler )

Mr. Olivier R. Hoor Mr. Olivier R. Hoor
Partner
oliver.hoor@atoz.lu
Mr. Andreas Medler Mr. Andreas Medler
Director
andreas.medler@atoz.lu

Click here to see the ad(s)
Tous les articles Droit Européen

Derniers articles Droit Européen

Directive (EU) 2019-2121 on Cross-Border Conversions, Mergers and Demergers
24/01/2020

On 27 November 2019, the European Parliament and the Council adopted Directive (EU) 2019/2121 (the "Directive") ...

Directive (EU) 2019-2121 on Cross-Border Conversions, Mergers and Demergers Read more

New decision of the Court of Justice of the European Union on the expression of the annual percen...
13/01/2020

Following a request for a preliminary ruling from the Regional Court of Trnava, Slovakia in the context of proceedings bet...

Read more

Buying alliances in Europe are under threat
05/12/2019

On Monday 18 November 2019 the Dutch Authority for Consumers and Markets ("ACM") announced that the regulator ha...

Read more

Commission decision on Fiat ruling confirmed
28/10/2019

In a judgment   of 24 September 2019, the General Court of the European Union (“Court”) dismiss...

Commission decision on Fiat ruling confirmed Read more

Derniers articles de Mr. Olivier R. Hoor

Luxembourg starts the implementation of ATAD 2
20/08/2019

On 8 August, the draft law (the “draft law”) implementing the EU Directive 2017/952 of 29 May 2017 (“ATA...

Read more

Luxembourg implementation of the EU Directive setting new transparency rules for intermediaries
13/08/2019

On 8 August 2019, a draft law implementing the Council Directive (EU) 2018/822 of 25 May 2018 as regards mandatory automat...

Read more

The Amended Luxembourg PE Definition: Is There Really Something New?
10/06/2019

The 2019 tax reform implements the EU Anti-Tax Avoidance Directive (“ATAD”) and other Base Erosion and Profit ...

Read more

Corporate Tax Reform 2019 – Part 2
03/06/2019

On 25 April 2019, the law on the 2019 budget was passed by Luxembourg Parliament. The law mainly introduces the following ...

Read more

Derniers articles de Mr. Andreas Medler

The German Federal Tax Court limits German CFC rules and anti-abuse provisions to wholly artifici...
24/10/2018

In a decision of the German Federal Tax Court (GFTC) from 13 June 2018 (Decision I R 94/15 published on 17 October 2018), ...

Read more

Upcoming German tax law changes relevant to real estate investments
18/09/2018

On 1 August 2018, the German Ministry of Finance published the amended draft bill of the Annual Tax Act 2018 which will be...

Read more

LexGO Network