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Document 62011CA0301

    Case C-301/11: Judgment of the Court (Seventh Chamber) of 31 January 2013 — European Commission v Kingdom of the Netherlands (Tax legislation — Transfer of a residence for tax purposes — Freedom of establishment — Article 49 TFEU — Taxation of unrealised capital gains — Immediate exit tax)

    IO C 86, 23.3.2013, p. 4–4 (BG, ES, CS, DA, DE, ET, EL, EN, FR, IT, LV, LT, HU, MT, NL, PL, PT, RO, SK, SL, FI, SV)

    23.3.2013   

    EN

    Official Journal of the European Union

    C 86/4


    Judgment of the Court (Seventh Chamber) of 31 January 2013 — European Commission v Kingdom of the Netherlands

    (Case C-301/11) (1)

    (Tax legislation - Transfer of a residence for tax purposes - Freedom of establishment - Article 49 TFEU - Taxation of unrealised capital gains - Immediate exit tax)

    2013/C 86/05

    Language of the case: Dutch

    Parties

    Applicant: European Commission (represented by: R. Lyal and W. Roels, acting as Agents)

    Defendant: Kingdom of the Netherlands (represented by: C.Wissels, J. Langer and M. de Ree, acting as Agents)

    Interveners in support of the defendant: Federal Republic of Germany (represented by: T. Henze and K. Petersen, acting as Agents), Kingdom of Spain (represented by: A. Rubio González, acting as Agent), Portuguese Republic (représentant: L. Inez Fernandes, acting as Agent)

    Re:

    Failure of a Member State to fulfil obligations — Interpretation of Article 49 TFEU — Exit tax for undertakings ceasing to have their tax residence in the Netherlands — Taxation of unrealised capital gains in the case of changing the undertaking’s residency, moving its permanent establishment or transferring its shares to another Member State

    Operative part of the judgment

    The Court:

    1.

    Declares that, by adopting and maintaining in force a national rule providing for the taxation of unrealised capital gains on the transfer of an undertaking or when transferring a company’s registered office or actual head office to another Member State, the Kingdom of the Netherlands has failed to fulfil its obligations under Article 49 TFEU;

    2.

    Orders the Kingdom of the Netherlands to pay the costs;

    3.

    Orders the Federal Republic of Germany, the Kingdom of Spain and the Portuguese Republic to bear their own costs.


    (1)  OJ C 252, 27.8.2011.


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