The CFE Tax Advisers Europe welcomes the judgment of the Court as it provides further clarification on the legal protection of the information holders afforded by Article 47 of the Charter of Fundamental Rights of the European Union in cases of cross-border exchange of information. Article 47 of the Charter guarantees that national courts can review the cross-border information request in order to assess its legality and also that the information holder must be able to ascertain the reasons upon which the order they receive is based. Moreover, the CFE Tax Advisers Europe welcomes the illumination regarding the concept of “foreseeable relevance”, but also notes that additional clarification will be needed to distinguish permissible group req...
The article acknowledges that the “Danish beneficial ownership cases” address a number of important ...
peer reviewedIn this CFE Opinion Statement, the CFE ECJ Task Force comments on the decision of 27 Ja...
This is an Opinion Statement prepared by the CFE ECJ Task Force on Groupe Steria SCA (Case C-386/14)...
peer reviewedIn the judgment commented on in this article, the Court of Justice clarified the condit...
The CFE welcomes the judgment as it clearly refers to a case of unjustified discrimination. However,...
peer reviewedThe present case concerns the question of whether the right to an effective remedy — as...
The CFE welcomes this decision in that it marks a new page in the protection of taxpayer rights. In ...
This is an Opinion Statement prepared by the CFE ECJ Task Force on the Commission v Spain case (also...
CFE Tax Advisers Europe acknowledges that the “Danish beneficial ownership cases” address a number o...
The decisions in The Netherlands v. Commission (Starbucks) (Joined Cases C-760/15 and T-636/16) (her...
CFE Tax Advisers Europe welcomes the Court’s decision in Hornbach-Baumarkt (Case C-382/16) (Hornbach...
This is an Opinion Statement prepared by the CFE ECJ Task Force1 on Case C-386/14, in which the 2nd ...
The Court’s judgment in Société Générale reinforces the established case law that EU law neither pro...
peer reviewedThe Confédération Fiscale Européenne welcomes the precise and instructive decision i...
peer reviewedThis is an Opinion Statement prepared by the CFE ECJ Task Force on Eqiom (Case C-6/16),...
The article acknowledges that the “Danish beneficial ownership cases” address a number of important ...
peer reviewedIn this CFE Opinion Statement, the CFE ECJ Task Force comments on the decision of 27 Ja...
This is an Opinion Statement prepared by the CFE ECJ Task Force on Groupe Steria SCA (Case C-386/14)...
peer reviewedIn the judgment commented on in this article, the Court of Justice clarified the condit...
The CFE welcomes the judgment as it clearly refers to a case of unjustified discrimination. However,...
peer reviewedThe present case concerns the question of whether the right to an effective remedy — as...
The CFE welcomes this decision in that it marks a new page in the protection of taxpayer rights. In ...
This is an Opinion Statement prepared by the CFE ECJ Task Force on the Commission v Spain case (also...
CFE Tax Advisers Europe acknowledges that the “Danish beneficial ownership cases” address a number o...
The decisions in The Netherlands v. Commission (Starbucks) (Joined Cases C-760/15 and T-636/16) (her...
CFE Tax Advisers Europe welcomes the Court’s decision in Hornbach-Baumarkt (Case C-382/16) (Hornbach...
This is an Opinion Statement prepared by the CFE ECJ Task Force1 on Case C-386/14, in which the 2nd ...
The Court’s judgment in Société Générale reinforces the established case law that EU law neither pro...
peer reviewedThe Confédération Fiscale Européenne welcomes the precise and instructive decision i...
peer reviewedThis is an Opinion Statement prepared by the CFE ECJ Task Force on Eqiom (Case C-6/16),...
The article acknowledges that the “Danish beneficial ownership cases” address a number of important ...
peer reviewedIn this CFE Opinion Statement, the CFE ECJ Task Force comments on the decision of 27 Ja...
This is an Opinion Statement prepared by the CFE ECJ Task Force on Groupe Steria SCA (Case C-386/14)...