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Document 62012CN0080
Case C-80/12: Reference for a preliminary ruling from First-tier Tribunal (Tax Chamber) (United Kingdom) made on 15 February 2012 — Felixstowe Dock and Railway Company Ltd, Savers Health and Beauty Ltd, Walton Container Terminal Ltd, AS Watson card Services (UK) Ltd, Hutchison Whampoa (Europe) Ltd, Kruidvat UK Ltd, Superdrug Stores plc v The Commissioners for Her Majesty's Revenue & Customs
Case C-80/12: Reference for a preliminary ruling from First-tier Tribunal (Tax Chamber) (United Kingdom) made on 15 February 2012 — Felixstowe Dock and Railway Company Ltd, Savers Health and Beauty Ltd, Walton Container Terminal Ltd, AS Watson card Services (UK) Ltd, Hutchison Whampoa (Europe) Ltd, Kruidvat UK Ltd, Superdrug Stores plc v The Commissioners for Her Majesty's Revenue & Customs
Case C-80/12: Reference for a preliminary ruling from First-tier Tribunal (Tax Chamber) (United Kingdom) made on 15 February 2012 — Felixstowe Dock and Railway Company Ltd, Savers Health and Beauty Ltd, Walton Container Terminal Ltd, AS Watson card Services (UK) Ltd, Hutchison Whampoa (Europe) Ltd, Kruidvat UK Ltd, Superdrug Stores plc v The Commissioners for Her Majesty's Revenue & Customs
SL C 184, 23.6.2012, p. 2–2
(BG, ES, CS, DA, DE, ET, EL, EN, FR, IT, LV, LT, HU, MT, NL, PL, PT, RO, SK, SL, FI, SV)
23.6.2012 |
EN |
Official Journal of the European Union |
C 184/2 |
Reference for a preliminary ruling from First-tier Tribunal (Tax Chamber) (United Kingdom) made on 15 February 2012 — Felixstowe Dock and Railway Company Ltd, Savers Health and Beauty Ltd, Walton Container Terminal Ltd, AS Watson card Services (UK) Ltd, Hutchison Whampoa (Europe) Ltd, Kruidvat UK Ltd, Superdrug Stores plc v The Commissioners for Her Majesty's Revenue & Customs
(Case C-80/12)
2012/C 184/02
Language of the case: English
Referring court
First-tier Tribunal (Tax Chamber)
Parties to the main proceedings
Applicants: Felixstowe Dock and Railway Company Ltd, Savers Health and Beauty Ltd, Walton Container Terminal Ldt, AS Watson card Services (UK) Ldt, Hutchison Whampoa (Europe) Ltd, Kruidvat UK Ldt, Superdrug Stores plc
Defendant: The Commissioners for Her Majesty's Revenue & Customs
Questions referred
1. |
In circumstances where:
Do Arts. 49 and 54, TFEU preclude the requirement that the ‘link company’ be either resident in the United Kingdom or carrying on a trade in the United Kingdom through a permanent establishment situated there? |
2. |
If the answer to question 1 is yes, is the United Kingdom required to provide a remedy to the claimant company (for example, by allowing that company to claim relief for the losses of the consortium company) in circumstances where:
|