Accorinvest (Taxation - Excise duties - Other indirect taxes on excise goods - Concept of 'other indirect tax' - Tariff-based contribution on electricity transmission and distribution services - Judgment) [2026] EUECJ T-653/24 (28 January 2026)

Accorinvest (Taxation - Excise duties - Other indirect taxes on excise goods - Concept of 'other indirect tax' - Tariff-based contribution on electricity transmission and distribution services - Judgment) [2026] EUECJ T-653/24 (28 January 2026)

A tax payable in respect of network access contracts for electricity supply, calculated independently of the quantity of electricity actually consumed and based on the fixed component of network charges, does not have a direct and inseverable link with the consumption of electricity and therefore does not constitute...

Source-derived case information.

Citation
[2026] EUECJ T-653/24
Parties
Applicant: Accorinvest; Applicant: Société générale; Respondent: ministre de l'Économie, des Finances et de la Souveraineté industrielle et numérique (Minister for the Economy, Finance and Industrial and Digital Sovereignty, France)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (joined Cases) / Judgment on Reference From Conseil D'état (france) to Court of Justice of the European Union
Outcome
Reference answered; tax does not constitute an 'other indirect tax' under Article 1(2) of Directive 2008/118/EC.
Legal Topics
Excise Duty, Indirect Taxation, Electricity Taxation, Interpretation of Directive 2008/118/ec
European Union Law Tax Law Excise Duty Indirect Taxation Electricity Taxation Interpretation of Directive 2008/118/ec

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Parties

Accorinvest

Applicant

Société générale

Applicant

ministre de l'Économie, des Finances et de la Souveraineté industrielle et numérique (Minister for the Economy, Finance and Industrial and Digital Sovereignty, France)

Respondent

Procedural Posture

Preliminary Ruling (joined Cases) / Judgment on Reference From Conseil D'état (france) to Court of Justice of the European Union

  1. 1 Whether a tax passed on to final electricity consumers, but calculated independently of actual consumption, constitutes an 'other indirect tax' under Article 1(2) of Directive 2008/118/EC
  2. 2 Whether a tax based on the fixed component of network access charges, not linked to actual electricity consumption, has a direct and inseverable link with consumption for the purposes of Article 1(2) of Directive 2008/118/EC

Ratio Decidendi

A tax payable in respect of network access contracts for electricity supply, calculated independently of the quantity of electricity actually consumed and based on the fixed component of network charges, does not have a direct and inseverable link with the consumption of electricity and therefore does not constitute an 'other indirect tax' within the meaning of Article 1(2) of Directive 2008/118/EC.

Court Disposition

Reference answered; tax does not constitute an 'other indirect tax' under Article 1(2) of Directive 2008/118/EC.

Orders

  • Article 1(2) of Directive 2008/118/EC does not classify a tax passed on to the final electricity consumer, but calculated independently of actual consumption, as an 'other indirect tax'.
  • A tax payable in respect of network access contracts, not based on the quantity of electricity actually consumed, does not constitute an 'other indirect tax' under Article 1(2) of Directive 2008/118/EC.