According to the CJEU’s case law, the tax disadvantage suffered by taxpayers in a cross-border situation arising from international juridical double taxation does not constitute a forbidden obstacle to free movement because it is a consequence of Member States’ definition of tax jurisdiction. Nevertheless, from an ability-to-pay perspective, this disadvantage may also be perceived as resulting from a Member State’s exercise of taxing powers in a discriminatory or restrictive way. From this perspective, the issue is no longer whether international juridical double taxation is compatible with the EU law but whether disregarding taxpayers’ overall ability in cross-border situations is in accordance with the EU law, given the evolution of the C...
The topic of this thesis is the phenomenon of international double taxation. Collection of taxes is ...
Treaty Establishing the European Community, operative until December 1st 2009, had already establish...
International and local aspects of double taxation Abstract The purpose of my thesis is to analyze i...
Double taxation is known as restricting the free flow of capital and accordingly results in a limite...
peer reviewed- Addresses key issues for the allocation of taxing powers in the European Union - Loo...
In this article the author aims to reveal the legal content of the Fundamental Freedoms enshrined in...
The European Commissions communication of December 2010 outlining persistent double taxation proble...
European Union law provides that persons may move freely for professional reasons from one Member S...
The Court’s judgment in Société Générale reinforces the established case law that EU law neither pro...
AbstractInternational double taxation is subjecting direct to the same tax and taxable materials for...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
International double taxation is considered a severe impediment to freetrade and an obstacle to the ...
International audienceIn order to determine the international limits of State freedom in tax matters...
Double taxation treaties play a vital part in the international relations between states regarding t...
The topic of this thesis is the phenomenon of international double taxation. Collection of taxes is ...
Treaty Establishing the European Community, operative until December 1st 2009, had already establish...
International and local aspects of double taxation Abstract The purpose of my thesis is to analyze i...
Double taxation is known as restricting the free flow of capital and accordingly results in a limite...
peer reviewed- Addresses key issues for the allocation of taxing powers in the European Union - Loo...
In this article the author aims to reveal the legal content of the Fundamental Freedoms enshrined in...
The European Commissions communication of December 2010 outlining persistent double taxation proble...
European Union law provides that persons may move freely for professional reasons from one Member S...
The Court’s judgment in Société Générale reinforces the established case law that EU law neither pro...
AbstractInternational double taxation is subjecting direct to the same tax and taxable materials for...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
In recent years, the European Court of Justice (ECJ) has invalidated many income tax law provisions ...
International double taxation is considered a severe impediment to freetrade and an obstacle to the ...
International audienceIn order to determine the international limits of State freedom in tax matters...
Double taxation treaties play a vital part in the international relations between states regarding t...
The topic of this thesis is the phenomenon of international double taxation. Collection of taxes is ...
Treaty Establishing the European Community, operative until December 1st 2009, had already establish...
International and local aspects of double taxation Abstract The purpose of my thesis is to analyze i...