Nazairdis (State aid) [2005] EUECJ C-323/04 (27 October 2005)

Nazairdis (State aid) [2005] EUECJ C-323/04 (27 October 2005)

Articles 87(1) EC and 88(3) EC do not preclude the levy of a tax such as the TACA because the tax is not hypothecated to the alleged aid measures, and the allocation of its revenue is discretionary and not directly linked to the amount of aid granted.

Source-derived case information.

Citation
[2005] EUECJ C-323/04
Parties
Applicant: Claimant companies (Cases C-321/04 to C-325/04, C-266/04 to C-270/04, C-276/04); Respondent: Organic (Caisse nationale de l'organisation autonome d'assurance vieillesse des travailleurs non salariés des professions industrielles et commerciales)
Jurisdiction
European Union
Procedural Posture
Preliminary Reference / Preliminary Ruling by Court of Justice
Outcome
Articles 87(1) EC and 88(3) EC are to be interpreted as not precluding the levy of a tax such as the French tax to support the trade and craft sectors.
Legal Topics
Interpretation of Articles 87 EC and 88 EC, State Aid, Tax Hypothecation, Trade and Craft Sector Support
European Union Law Tax Law State Aid Interpretation of Articles 87 EC and 88 EC Tax Hypothecation Trade and Craft Sector Support

Source-derived case record

Summary, issues, holding and outcome

More case intelligence is available

Unlock the full research layer for this judgment.

Downloadable case file Legal principles 3 Authorities cited 20 Party arguments 2 Amounts and remedies 5
Sign in to unlock

Parties

Claimant companies (Cases C-321/04 to C-325/04, C-266/04 to C-270/04, C-276/04)

Applicant

Organic (Caisse nationale de l'organisation autonome d'assurance vieillesse des travailleurs non salariés des professions industrielles et commerciales)

Respondent

Procedural Posture

Preliminary Reference / Preliminary Ruling by Court of Justice

  1. 1 Whether the French tax to support the trade and craft sectors (TACA) constitutes State aid within the meaning of Article 87(1) EC
  2. 2 Whether Articles 87(1) EC and 88(3) EC preclude the levy of TACA

Ratio Decidendi

Articles 87(1) EC and 88(3) EC do not preclude the levy of a tax such as the TACA because the tax is not hypothecated to the alleged aid measures, and the allocation of its revenue is discretionary and not directly linked to the amount of aid granted.

Court Disposition

Articles 87(1) EC and 88(3) EC are to be interpreted as not precluding the levy of a tax such as the French tax to support the trade and craft sectors.