FIM Santander Top 25 Euro Fi (Articles 63 TFEU and 65 TFEU) [2012] EUECJ C-338/11 (10 May 2012)

FIM Santander Top 25 Euro Fi (Articles 63 TFEU and 65 TFEU) [2012] EUECJ C-338/11 (10 May 2012)

French legislation taxing nationally-sourced dividends received by non-resident UCITS, while exempting resident UCITS, constitutes a restriction on the free movement of capital under Article 63 TFEU, is discriminatory, and is not justified by overriding reasons in the public interest; comparability must be assessed...

Source-derived case information.

Citation
[2012] EUECJ C-338/11
Parties
Applicant: Belgian, German, Spanish, and American UCITS; Respondent: French tax authorities
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling / Final Judgment
Outcome
Legislation precluded; preliminary ruling granted against French tax regime.
Legal Topics
Free Movement of Capital, Withholding Tax, Discrimination, Collective Investment Undertakings
European Union Law Tax Law Free Movement of Capital Withholding Tax Discrimination Collective Investment Undertakings

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Summary, issues, holding and outcome

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Parties

Belgian, German, Spanish, and American UCITS

Applicant

French tax authorities

Respondent

Procedural Posture

Preliminary Ruling / Final Judgment

  1. 1 Whether French legislation taxing nationally-sourced dividends received by non-resident UCITS violates Articles 63 and 65 TFEU
  2. 2 Whether the situation of shareholders must be considered in comparability analysis under EU law

Ratio Decidendi

French legislation taxing nationally-sourced dividends received by non-resident UCITS, while exempting resident UCITS, constitutes a restriction on the free movement of capital under Article 63 TFEU, is discriminatory, and is not justified by overriding reasons in the public interest; comparability must be assessed at the UCITS level, not shareholder level.

Court Disposition

Legislation precluded; preliminary ruling granted against French tax regime.

Orders

  • Articles 63 TFEU and 65 TFEU preclude Member State legislation taxing nationally-sourced dividends received by non-resident UCITS while exempting resident UCITS.
  • No limitation of temporal effects of the judgment.