Commission v Belgium (Freedom to provide services) [2006] EUECJ C-433/04 (09 November 2006)

Commission v Belgium (Freedom to provide services) [2006] EUECJ C-433/04 (09 November 2006)

The Belgian provisions requiring withholding of 15% and imposing joint and several liability on principals and contractors using unregistered foreign operators constitute restrictions on the freedom to provide services under Articles 49 and 50 EC. These measures are not justified by the need to combat tax fraud, as...

Source-derived case information.

Citation
[2006] EUECJ C-433/04
Parties
Applicant: Commission of the European Communities; Respondent: Kingdom of Belgium
Jurisdiction
European Union
Procedural Posture
Infringement Proceedings Under Article 226 EC / Opinion of Advocate General
Outcome
Application upheld; Belgium failed to fulfil its obligations under Articles 49 EC and 50 EC.
Legal Topics
Freedom to Provide Services, Discrimination, Tax Withholding, Joint and Several Liability, Proportionality, Justification of Restrictions
European Union Law Tax Law Freedom to Provide Services Discrimination Tax Withholding Joint and Several Liability Proportionality Justification of Restrictions

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 4 Authorities cited 33 Party arguments 2 Amounts and remedies 2
Sign in to unlock

Parties

Commission of the European Communities

Applicant

Kingdom of Belgium

Respondent

Procedural Posture

Infringement Proceedings Under Article 226 EC / Opinion of Advocate General

  1. 1 Whether Belgian tax provisions requiring withholding and joint and several liability for principals and contractors using unregistered foreign operators in the construction sector breach Articles 49 and 50 EC on freedom to provide services.

Ratio Decidendi

The Belgian provisions requiring withholding of 15% and imposing joint and several liability on principals and contractors using unregistered foreign operators constitute restrictions on the freedom to provide services under Articles 49 and 50 EC. These measures are not justified by the need to combat tax fraud, as they are disproportionate, based on a general presumption of fraud, and less restrictive alternatives exist. Therefore, Belgium failed to fulfil its obligations under the EC Treaty.

Court Disposition

Application upheld; Belgium failed to fulfil its obligations under Articles 49 EC and 50 EC.

Orders

  • Declare that Belgium failed to fulfil its obligations under Articles 49 EC and 50 EC by imposing the withholding and joint and several liability provisions.
  • Order the Kingdom of Belgium to pay the costs.