Athinaiki Zythopoiia (Taxation) [2001] EUECJ C-294/99 (04 October 2001)

Athinaiki Zythopoiia (Taxation) [2001] EUECJ C-294/99 (04 October 2001)

There is a withholding tax within the meaning of Article 5(1) of Directive 90/435/EEC where national legislation requires, upon distribution of profits by a subsidiary to its parent company, that non-taxable income and income subject to special taxation be reincorporated into the taxable base, when such income would...

Source-derived case information.

Citation
[2001] EUECJ C-294/99
Parties
Applicant: Athinaiki Zithopiia AE; Respondent: Head of the Athens tax collection service
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (article 234 Ec) / Judgment of the Court of Justice (fifth Chamber)
Outcome
Preliminary ruling: Greek legislation constitutes a prohibited withholding tax under Article 5(1) of Directive 90/435/EEC in the described circumstances.
Legal Topics
Withholding Tax, Parent Subsidiary Directive, Double Taxation, Distribution of Profits, Interpretation of Directive 90/435/eec
European Union Law Tax Law Withholding Tax Parent Subsidiary Directive Double Taxation Distribution of Profits Interpretation of Directive 90/435/eec

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Parties

Athinaiki Zithopiia AE

Applicant

Head of the Athens tax collection service

Respondent

Procedural Posture

Preliminary Ruling (article 234 Ec) / Judgment of the Court of Justice (fifth Chamber)

  1. 1 Whether the Greek tax treatment of distributed profits constitutes a withholding tax prohibited by Article 5(1) of Directive 90/435/EEC.

Ratio Decidendi

There is a withholding tax within the meaning of Article 5(1) of Directive 90/435/EEC where national legislation requires, upon distribution of profits by a subsidiary to its parent company, that non-taxable income and income subject to special taxation be reincorporated into the taxable base, when such income would not be taxable if retained by the subsidiary.

Court Disposition

Preliminary ruling: Greek legislation constitutes a prohibited withholding tax under Article 5(1) of Directive 90/435/EEC in the described circumstances.

Orders

  • There is a withholding tax within the meaning of Article 5(1) of Directive 90/435/EEC where national legislation provides that, in the event of distribution of profits by a subsidiary to its parent company, non-taxable income and income subject to special taxation must be reincorporated into the taxable amount, when...