textabstractOn 10 June 2015, the Court of Justice of the European Union (‘CJ’) delivered its judgment in X AB v. Skatteverket (C-686/13). The CJ held the non-deductibility for Swedish corporate tax purposes of realised foreign exchange losses on shareholdings eligible for relief under the Swedish participation exemption regime compatible with the fundamental freedoms. The case concerned a Swedish company that held a 45% shareholding in a UK subsidiary company whose shares were issued in US dollars. Due to a devaluation of the US dollar relative to the Swedish krona, the Swedish shareholder company would be confronted with a foreign exchange loss upon a disposal of its UK shareholding. Such a loss, however, would not be tax-deductible under ...
The aim of this thesis is to present issues related to cross-border taxation of employee stock optio...
Freedom of establishment statutes that restriction of citizens within the EU can not occur. A citize...
En valutakursförlust som uppstår till följd av att ett bolag avyttrar näringsbetingade andelar i ett...
On 10 June 2015, the Court of Justice of the European Union (‘CJ’) delivered its judgment in X AB v....
In Lexel (Case C-484/19), the Swedish interest deduction limitation rules were found to be in breach...
On December 12, 2002 the European Court of Justice delivered a verdict in Lankhorst-Hohorst GmbH cas...
A fundamental freedom in the European Union is the freedom of establishment. As part of the developm...
According to Swedish tax legislation, investment funds are taxed differently depending on if the are...
In this CFE Opinion Statement, submitted to the EU Institutions in November 2022, the CFE ECJ Task F...
EU law is superior to Swedish domestic law, and it is on Sweden's responsibility to implement the CO...
On January 1, 2010, the Swedish government changed the national rule on taxation of loans between Sw...
On July 1 2010 new rules regarding cross-border group deductions came into force in Sweden. The rule...
On the internal market within the EU, freedom of establishment under articles 49 and 54 TEU stipulat...
peer reviewedIn this CFE Opinion Statement, submitted to the EU Institutions in June 2023, the CFE E...
Summary The membership of EU has had significant legal consequences for the member states and has re...
The aim of this thesis is to present issues related to cross-border taxation of employee stock optio...
Freedom of establishment statutes that restriction of citizens within the EU can not occur. A citize...
En valutakursförlust som uppstår till följd av att ett bolag avyttrar näringsbetingade andelar i ett...
On 10 June 2015, the Court of Justice of the European Union (‘CJ’) delivered its judgment in X AB v....
In Lexel (Case C-484/19), the Swedish interest deduction limitation rules were found to be in breach...
On December 12, 2002 the European Court of Justice delivered a verdict in Lankhorst-Hohorst GmbH cas...
A fundamental freedom in the European Union is the freedom of establishment. As part of the developm...
According to Swedish tax legislation, investment funds are taxed differently depending on if the are...
In this CFE Opinion Statement, submitted to the EU Institutions in November 2022, the CFE ECJ Task F...
EU law is superior to Swedish domestic law, and it is on Sweden's responsibility to implement the CO...
On January 1, 2010, the Swedish government changed the national rule on taxation of loans between Sw...
On July 1 2010 new rules regarding cross-border group deductions came into force in Sweden. The rule...
On the internal market within the EU, freedom of establishment under articles 49 and 54 TEU stipulat...
peer reviewedIn this CFE Opinion Statement, submitted to the EU Institutions in June 2023, the CFE E...
Summary The membership of EU has had significant legal consequences for the member states and has re...
The aim of this thesis is to present issues related to cross-border taxation of employee stock optio...
Freedom of establishment statutes that restriction of citizens within the EU can not occur. A citize...
En valutakursförlust som uppstår till följd av att ett bolag avyttrar näringsbetingade andelar i ett...