Asparuhovo Lake Investment Company (Judgment) [2015] EUECJ C-463/14 (03 September 2015)

Asparuhovo Lake Investment Company (Judgment) [2015] EUECJ C-463/14 (03 September 2015)

Subscription contracts for consulting services, where the provider is available to the customer and refrains from working for competitors, constitute a 'supply of services' under Article 24(1) of the VAT Directive. The chargeable event and chargeability of VAT occur upon expiry of the period for which payment is...

Source-derived case information.

Citation
[2015] EUECJ C-463/14
Parties
Applicant: Asparuhovo Lake Investment Company OOD; Respondent: Direktor na Direktsia ‘Obzhalvane i danachno-osiguritelna praktika’ Varna pri Tsentralno upravlenie na Natsionalnata agentsia za prihodite
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (reference for Interpretation) / Judgment of the Court of Justice of the European Union
Outcome
Reference answered; subscription contracts for consulting services are a supply of services for VAT purposes; chargeable event and taxability occur at the end of each payment period.
Legal Topics
Value Added Tax (vat), Supply of Services, Subscription Contracts, Chargeable Event, Input Tax Deduction
Tax Law European Union Law Value Added Tax (vat) Supply of Services Subscription Contracts Chargeable Event Input Tax Deduction

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Parties

Asparuhovo Lake Investment Company OOD

Applicant

Direktor na Direktsia ‘Obzhalvane i danachno-osiguritelna praktika’ Varna pri Tsentralno upravlenie na Natsionalnata agentsia za prihodite

Respondent

Procedural Posture

Preliminary Ruling (reference for Interpretation) / Judgment of the Court of Justice of the European Union

  1. 1 Whether subscription contracts for consulting services constitute a 'supply of services' under Article 24(1) and Article 25(b) of the VAT Directive
  2. 2 When the chargeable event and chargeability of VAT occur for such contracts under Articles 62(2), 63, and 64(1) of the VAT Directive

Ratio Decidendi

Subscription contracts for consulting services, where the provider is available to the customer and refrains from working for competitors, constitute a 'supply of services' under Article 24(1) of the VAT Directive. The chargeable event and chargeability of VAT occur upon expiry of the period for which payment is agreed, regardless of whether or how often the customer uses the services.

Court Disposition

Reference answered; subscription contracts for consulting services are a supply of services for VAT purposes; chargeable event and taxability occur at the end of each payment period.

Orders

  • Article 24(1) of Directive 2006/112/EC includes subscription contracts for consulting services as a 'supply of services'.
  • Articles 62(2), 63, and 64(1) of Directive 2006/112/EC mean the chargeable event and taxability occur at the end of the agreed payment period, regardless of actual use.