Jacques Malherbe Professor emeritus, Catholic University of Louvain

Slides:



Advertisements
Similar presentations
© Paolo Arginelli The Multiple Interrelation between Tax Treaty Law and European law Paolo Arginelli, LL M Università Cattolica del Sacro Cuore (Piacenza)
Advertisements

Corporate Income Taxes in the EU: An Economic Assessment of the Role of the ECJ Comments by Alan J. Auerbach Alan J. Auerbach April 24, 2006.
Tax Transparency Proposal on Automatic Exchange of Information on Tax Rulings Brussels, 18th March 2015.
Int’l & EU Tax Law 2007/2008 Exam Discussion (first sit)
Institute for Austrian and International Tax Law Dr Mario Tenore Vienna University of Economics and Business Brussels, 28 September.
(c) G.M.M. Michielse EU Harmonization: An Obstacle for Alternative Corporate Income Tax Systems? Geerten M.M. Michielse Technical Assistance Advisor,
The new Germany/UK Treaty - The German Perspective IFA Trilateral Meeting 3 November 2010 Jan Brinkmann.
CJEU CASE C-338/11 – Santander Asset Management SGIIC and Others Judgment of the Court (Third Chamber) of 10 May European Tax Law 32E22000 Mikko.
INTRODUCTION INTO PRIVATE INTERNATIONAL LAW OF THE EUROPEAN UNION Marko Jovanovic, LL.M. MASTER IN EUROPEAN INTEGRATION Private International Law in the.
CYPRUS – LITHUANIA TAX STRUCTURING
INTRODUCTION: In recent years integration has been achieved through tax harmonisation and through European Court of Justice (ECJ) case law This integration.
Real Estate Investments in Italy made by foreign investors: FOREIGN COUNTRY  Direct investment Investment through Italian Real Estate Investment Fund.
Case C-446/03 Marks & Spencer
Maximising tax efficiency 22 November 2006 Eleanor Watts.
EUROPEAN TAX LAW (32E22000) JAKI TAALAS & JOEL KERÄNEN SGI, C-311/08 TRANSFER PRICING.
McGraw-Hill© 2005 The McGraw-Hill Companies, Inc. All rights reserved.
CROSS BORDER SUCCESSION,
CFC rules & Cadbury Schweppes case C-196/04
Question 1, Case A (Part 1) The case „Saint-Gobain“ was about a French company having a PE in Germany that held participations in foreign companies incl.
Thin Capitalisation What is Thin Capitalisation.
Johan Boersma TAXATION OF COMPANIES IN THE CZECH REPUBLIC.
CJEU Case C-231/05, AA Oy Finnish Corporate Contribution System Antti Lehtola
EATLP Rotterdam Congress 2012 Taxation of Charities The impact of EU law and ECJ case law on cross-border non- profit activities Prof. Dr. Edoardo Traversa.
Free Movement and Taxation of Companies Piet Van Nuffel Court of Justice of the EC, Katholieke Universiteit Brussel 15 November th Annual Conference.
1 Belgium-China income tax treaty Marc De Mil Fiscal Department for Foreign Investments Federal Public Service Finance.
International Taxation – Case Study Dubrovnik, 26 September
1 CHANGES TO CORPORATE INCOME TAX RULES IN THE CONTEXT OF EU INTEGRATION Sylwia Sobowiec Sławomir Boruc ( presentation prepared with the help of Baker.
Institute of International Bankers Tax Treaty Developments & The New U.S. Model Income Tax Treaty Tuesday - June 19, : :45 AM Daniel J. RaimondoBenedetta.
Horlings is a world-wide network of independent accountants and consultants firms 6 February 2009 The Dutch co-operative Nexia European Tax Group Meeting.
Ratification Double Taxation Conventions / Agreements PCOF: 16 September 2008.
1 Panel 2 “Acte Clair” in ECJ Decisions on direct tax discrimination The example of host state discrimination against foreign owned permanent establishments.
September 26, 2008CFH Cordes + Partner Tax-Update Germany European Tax Group Meeting September 26, 2008 in Dubrovnik CFH Cordes + Partner Wirtschaftsprüfer.
INTERNATIONAL FISCAL POLICY I Olivier BEDDELEEM
Institute for Austrian and International Tax Law IV. Interpretation Issues in Connection with Arbitration Clauses International Arbitration.
OECD/G20 BEPS Project The Final Reports.
1 Nexia World Tax Meeting Cape Town, May 30, 2009 (Extended) European Holding Company Analysis by Chris Leenders, International Tax Partner at Koenen en.
Establishing in China By: Vincent Sacilotto, Lowe Thunberg and Therese Nilsson.
Tax Planning of International Enterprises Dimensions of tax planning Assistant professor Tomi Viitala.
KHO:2008:23 Finnish Dividend Taxation of EU Individuals.
The Panel on Exit Taxation and Business Restructuring The OECD Business Restructuring Project - some EC Law and EU Tax Policy Issues Kerstin Malmer former.
Cyprus Companies in International Tax Planning International Business Structuring The Cyprus Jurisdiction.
EATLP ANNUAL Congress 2016 Tax Avoidance Revisited Exploring the Boundaries of Avoidance and Anti-Avoidance Rules in the BEPS context Munich 2 – 4 June.
Assessing the EU measures in the BEPS context Prof. Edoardo Traversa, UCLouvain EATLP Annual Congress Munich, 3 June 2016.
Fight Against Tax Avoidance in the EU
Tied aid and tied food aid within the framework of international law
Getting access to Luxembourg’s tax treaty network going forward
Cross-border merger and final losses (C-123/11 A Oy, KHO 2013:155)
Intra-Group Financial Transfers
EU tax law and tax treaties - Rights of a permanent establishment
About The extent to which the Multilateral Instrument (MLI) modifies an existing tax agreement depends on the MLI Positions of the Contracting Jurisdictions.
European and International Tax Law
Group Members: Lim Zhen Ting (619352) Cheryl Yap (619747)
Discussion Group Meeting
Circularity between measures Questions regarding financial instruments
European and international tax law
Anti – Avoidance Measures EU Law
Markus Hämäläinen, Tatu Manninen & Veli-Jussi Vuorinen
Revisiting Tax Avoidance EATLP 2016 Ana Paula Dourado SESSION 4
CADBURY SCHWEPPES CASE C-196/04, 12 SEPTEMBER 2006.
International Tax Planning using UAE Companies & Tax Treaties
Singapore’s Position on BEPS Action 15: Multilateral Instrument
INTRODUCTION INTO PRIVATE INTERNATIONAL LAW OF THE EUROPEAN UNION
The EU Regulatory Framework for Tax
Platform for Tax Good Governance
Academic Year Prof. Pietro Boria
FORUM AND LAW Satu Pitkänen 2015
Hybrid mismatch arrangements
Beneficial Ownership and Abuse Conditions
FORUM AND LAW.
Master 2 droit fiscal des affaires Université de Rennes I
Presentation transcript:

Scuola Europea di Alti Studi Tributari Bologna 2017 Doctoral Seminar Tax treaties and EU law Jacques Malherbe Professor emeritus, Catholic University of Louvain Direction : Prof. Adriano di Pietro

European directives and tax treaties European directives have so far reduced taxation of companies Anti-BEPS directive oblige MS to increase it: they must modify domestic law Parent-subsidiary directive: distributed profits must be taxed to the parent if they are deductible to the subsidiary (directive 2014/86/UE, 8 July 2014)

Tax treaties Divide tax base between Contracting States Are above domestic law

ATAD 1 and ATAD 2 directives Determine taxable base of companies Profits of PE in Source State may be exempt in Residence State only if tax in Source State ≥ ½ of tax in Residence State Otherwise tax credit, no exemption (switch over) Tax treaty providing for exemption of foreign PE? CFC rules? Reservation in signature of MLI What about ATAD?

CCTB and CCCTB proposed directives Determine tax base Divide tax between MS Definition of PE: only in EU No definition of PE of companies resident of third countries in EU companies resident of EU in third countries What about treaty definitions? Even treaties between MS?

Limitation on Benefits (LOB) US - India - Japan Open skies, C-466/98 No benefits to airline of UK controlled by nationals non-contracting States Violation of freedom of establishment

Limitation on Benefits (LOB) US - India - Japan Gottardo, C-55/00 Only Italian nationals may include years worked in Switzerland for Italian pensions Discrimination

Limitation on Benefits (LOB) US - India - Japan D, C-376/03 Resident of Germany denied allowance for Dutch wealth tax because did not hold 90% of his wealth in the Netherlands Belgium-Netherlands treaty waives this condition Discrimination? No Not in comparable situations Consequence of convention Traditional: comp. Schumacker

Limitation on Benefits (LOB) US - India - Japan Class IV ACT, C-374/04 UK company dividend to Dutch company: imputation credit If Dutch company owned by non-residents, denied if State of resident does not have similar treaty with UK Not comparable: treaty and non-treaty situations But: if ACT credit, there is UK withholding

Limitation on Benefits (LOB) US - India - Japan Treaty Japan-Netherlands: LOB clause Restriction? Yes Otherwise all treaties could discriminate Comp. Gibraltar State Aid Justification? Prevents treaty shopping Balance of powers between Contracting States Proportional? Limited to artificial arrangements? Cadbury Schweppes: yes Colombus Container: no Competent Authority?

Corporate law Centros, C-212/97 Überseeing, C-208/00 Treaty shopping allowed Primary establishment without substance Secondary establishment admitted

Tax on foreign UCITS NN (L) International, C-48/15 Belgian tax on Luxembourg UCITS placing units in Belgium On the amount placed in Belgium No violation of freedom of establishment But violation of double tax treaty? Tax on assets only in State of residence (Brussels Court of first instance – appealed)

Exemption of dividends Saint-Gobain Treaty Germany-US must apply to PE in Germany of French company

Art. 293 EC MS will engage in negotiations to eliminate double taxation Disappeared in Treaty of Lisbon A multilateral convention is not subject to scruting of ECJ cfr. Arbitration convention on transfer pricing to be replaced by directive (90/436/CEE)

Art. 293 EC Competence of the EU to enter into tax treaties with third countries Common Commercial policy? Tax clauses are accessory cfr. FSC case of WTO Implicit competence? Art. 216-219 TFEU No tax competence But what if CCTB adopted? ex. Agreement with Switzerland extending parent-subsidiary directive

Tax Advantage not conform with object and finality of treaty MLI PPT test Tax Advantage not conform with object and finality of treaty Vague: legal norm must be clear and its effects predictable SIAT Itelcar Tax administration has no burden of proof COM(2016)271: treaty applicable only if real economic activity