This chapter deals with VAT groups in Sweden. Sweden introduced rules on VAT groups in 1998. The first groups were founded in 1999. In Sweden, only certain categories of entities may form VAT groups. VAT groups are mainly to be found in the financial and insurance sectors. Also, entities which are commission agents and principals, and which have a commission link such as that referred to in Chapter 36 of the law on income tax may form VAT groups. The reason not to extend the possibility to form VAT groups to all groups of companies was that the state otherwise would lose too much revenue. This limitation to only certain categories of entities is a feature that really stands out regarding Swedish VAT groups from a comparative perspective
Non-profit organisations play a very important role in the Swedish civil society, both economically ...
SUMMARY: 1. Introduction. – 2. Regulatory Framework of the Italian VAT grouping scheme. – 3. Eligibi...
This master’s thesis will examine the concept of “fixed establishment” in VAT-law. The concept can b...
In the article, an analysis is made of the Danish rules on VAT grouping including case law and admin...
VAT grouping is a complex concept in European VAT law. Due to the optional nature of Article 11 VAT ...
Under the EU VAT Directive, Member States have to option to introduce VAT grouping. This article dis...
Since the Act of Value Added Tax in Sweden went into force in 1994 it has been the main regulation o...
In September 2014 the ECJ issued its decision in C-7/13 the Skandia case. The case con- cerned servi...
This thesis is devoted to groups as value added tax payers. This concept was introduced into Czech l...
This thesis investigates the current treatment of VAT groups under art.11 of the Recast Directive an...
The present thesis deals with two different provisions in the VAT Directive, the VAT grouping, provi...
On 2 July 2009, the European Commission adopted a communication calling for a harmonized application...
VAT grouping is available in Belgium since 2007. The system is in principle optional although mandat...
The VAT Directive provides the Member States of the European Union with an option to introduce VAT g...
Fiscal unity principle in taxation includes a taxing group of persons interconnected with particular...
Non-profit organisations play a very important role in the Swedish civil society, both economically ...
SUMMARY: 1. Introduction. – 2. Regulatory Framework of the Italian VAT grouping scheme. – 3. Eligibi...
This master’s thesis will examine the concept of “fixed establishment” in VAT-law. The concept can b...
In the article, an analysis is made of the Danish rules on VAT grouping including case law and admin...
VAT grouping is a complex concept in European VAT law. Due to the optional nature of Article 11 VAT ...
Under the EU VAT Directive, Member States have to option to introduce VAT grouping. This article dis...
Since the Act of Value Added Tax in Sweden went into force in 1994 it has been the main regulation o...
In September 2014 the ECJ issued its decision in C-7/13 the Skandia case. The case con- cerned servi...
This thesis is devoted to groups as value added tax payers. This concept was introduced into Czech l...
This thesis investigates the current treatment of VAT groups under art.11 of the Recast Directive an...
The present thesis deals with two different provisions in the VAT Directive, the VAT grouping, provi...
On 2 July 2009, the European Commission adopted a communication calling for a harmonized application...
VAT grouping is available in Belgium since 2007. The system is in principle optional although mandat...
The VAT Directive provides the Member States of the European Union with an option to introduce VAT g...
Fiscal unity principle in taxation includes a taxing group of persons interconnected with particular...
Non-profit organisations play a very important role in the Swedish civil society, both economically ...
SUMMARY: 1. Introduction. – 2. Regulatory Framework of the Italian VAT grouping scheme. – 3. Eligibi...
This master’s thesis will examine the concept of “fixed establishment” in VAT-law. The concept can b...