Kingdom of Sweden, v United Kingdom of Great Britain and Northern Ireland [2012] EUECJ C-342/10 (08 November 2012)

Kingdom of Sweden, v United Kingdom of Great Britain and Northern Ireland [2012] EUECJ C-342/10 (08 November 2012)

Finnish law treats dividends paid to non-resident pension funds less favourably than those paid to resident funds by denying deductions for pension reserves, creating a restriction on free movement of capital not justified by objective differences or overriding reasons of public interest, thus violating Article 63...

Source-derived case information.

Citation
[2012] EUECJ C-342/10
Parties
Applicant: European Commission; Respondent: Republic of Finland; Intervener: Kingdom of Denmark; Intervener: French Republic; Intervener: Kingdom of the Netherlands; Intervener: Kingdom of Sweden; Intervener: United Kingdom of Great Britain and Northern Ireland
Jurisdiction
European Union
Procedural Posture
Infringement Proceedings / Final Judgment
Outcome
application upheld
Legal Topics
Free Movement of Capital, Tax Discrimination, Pension Funds, Withholding Tax, Double Taxation Conventions
European Union Law Tax Law Free Movement of Capital Tax Discrimination Pension Funds Withholding Tax Double Taxation Conventions

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Parties

European Commission

Applicant

Republic of Finland

Respondent

Kingdom of Denmark

Intervener

French Republic

Intervener

Kingdom of the Netherlands

Intervener

Kingdom of Sweden

Intervener

United Kingdom of Great Britain and Northern Ireland

Intervener

Procedural Posture

Infringement Proceedings / Final Judgment

  1. 1 Whether Finnish tax law discriminates against non-resident pension funds regarding dividend taxation
  2. 2 Whether such discrimination restricts free movement of capital under Article 63 TFEU and Article 40 EEA Agreement
  3. 3 Whether differences in treatment are justified by objective comparability or overriding reasons of public interest

Ratio Decidendi

Finnish law treats dividends paid to non-resident pension funds less favourably than those paid to resident funds by denying deductions for pension reserves, creating a restriction on free movement of capital not justified by objective differences or overriding reasons of public interest, thus violating Article 63 TFEU and Article 40 EEA Agreement.

Court Disposition

application upheld

Orders

  • Republic of Finland failed to fulfil obligations under Article 63 TFEU and Article 40 EEA Agreement by maintaining discriminatory tax scheme for dividends paid to foreign pension funds.
  • Republic of Finland to bear its own costs and pay those incurred by the European Commission.