textabstractThe evolution of the case law in the field of free movement of goods has been marked by consecutive changes in the legal tests applied by the Court of Justice of the European Union for the determination of the existence of a trade restriction. Starting with the broad Dassonville and Cassis de Dijon definition of MEEQR (measures having equivalent effect to a quantitative restriction), the Court subsequently introduced the Keck-concept of ‘selling arrangements’, which allowed for more regulatory autonomy of the Member States, but proved insufficient to capture disguised trade restrictions. Ultimately, a refined ‘market access’ test was adopted, qualified by the requirement of a ‘substantial’ hindrance on inter-State trade. Contrar...
Ever since the Court's judgment in Walrave, there has been a concerted effort in caselaw and doctrin...
Since the decision of the European Court of Justice in the Centros case, it has become popular in co...
Free movement of capital with other fundamental freedoms constitute base of internal market in which...
The evolution of the case law in the field of free movement of goods has been marked by consecutive ...
Almost exactly a decade ago, the Court of Justice delivered its first judgments on golden shares gra...
This article considers two recent judgments of the European Court of Justice in which rules severely...
The free movement of capital is one of the four fundamental freedoms ofthe European Union internal m...
<p>The chapter begins by offering a broad macro-level overview of the evolution of the free ...
The paper explores public policy and public security grounds for justifying restrictions to free mov...
Contrasts the approach taken by the Advocates General and the European Court of Justice in Commissio...
The characteristics of free movement is the elimination of obstacles to trade between Member States ...
Pursuant to the so-called ‘loyalty to the EU principle’ enshrined in Article 10 EC, Member States ar...
Within the EU, the legal dimension of trade in goods and, more recently, of trade in services have g...
One of the objectives of the Takeover Directive is to reinforce the single market by enabling the fr...
The Treaty provisions regulating the free movement of goods are articles 28 to 31 EEC (former articl...
Ever since the Court's judgment in Walrave, there has been a concerted effort in caselaw and doctrin...
Since the decision of the European Court of Justice in the Centros case, it has become popular in co...
Free movement of capital with other fundamental freedoms constitute base of internal market in which...
The evolution of the case law in the field of free movement of goods has been marked by consecutive ...
Almost exactly a decade ago, the Court of Justice delivered its first judgments on golden shares gra...
This article considers two recent judgments of the European Court of Justice in which rules severely...
The free movement of capital is one of the four fundamental freedoms ofthe European Union internal m...
<p>The chapter begins by offering a broad macro-level overview of the evolution of the free ...
The paper explores public policy and public security grounds for justifying restrictions to free mov...
Contrasts the approach taken by the Advocates General and the European Court of Justice in Commissio...
The characteristics of free movement is the elimination of obstacles to trade between Member States ...
Pursuant to the so-called ‘loyalty to the EU principle’ enshrined in Article 10 EC, Member States ar...
Within the EU, the legal dimension of trade in goods and, more recently, of trade in services have g...
One of the objectives of the Takeover Directive is to reinforce the single market by enabling the fr...
The Treaty provisions regulating the free movement of goods are articles 28 to 31 EEC (former articl...
Ever since the Court's judgment in Walrave, there has been a concerted effort in caselaw and doctrin...
Since the decision of the European Court of Justice in the Centros case, it has become popular in co...
Free movement of capital with other fundamental freedoms constitute base of internal market in which...