Fossil (Gibraltar) (State aid - Aid schemes implemented by the Government of Gibraltar concerning corporate income tax - Judgment) [2022] EUECJ C-705/20 (15 September 2022)

Fossil (Gibraltar) (State aid - Aid schemes implemented by the Government of Gibraltar concerning corporate income tax - Judgment) [2022] EUECJ C-705/20 (15 September 2022)

Commission Decision (EU) 2019/700 does not preclude national authorities from applying a domestic provision allowing set-off of taxes paid abroad against taxes due in Gibraltar, provided the provision was applicable at the time of the relevant operations and is not selective or discriminatory under Article 107(1) TFEU.

Source-derived case information.

Citation
[2022] EUECJ C-705/20
Parties
Applicant: Fossil (Gibraltar) Ltd; Respondent: Commissioner of Income Tax (Gibraltar)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (cjeu) / Judgment on Reference
Outcome
Reference answered; Decision 2019/700 does not preclude application of domestic set-off for foreign tax paid, if applicable under national law.
Legal Topics
State Aid Recovery, Double Taxation Relief, Interpretation of EU Commission Decision, Tax Credits for Foreign Tax Paid
European Union Law Tax Law State Aid State Aid Recovery Double Taxation Relief Interpretation of EU Commission Decision Tax Credits for Foreign Tax Paid

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Parties

Fossil (Gibraltar) Ltd

Applicant

Commissioner of Income Tax (Gibraltar)

Respondent

Procedural Posture

Preliminary Ruling (cjeu) / Judgment on Reference

  1. 1 Whether Commission Decision (EU) 2019/700 precludes application of domestic tax relief for foreign taxes paid when recovering unlawful State aid
  2. 2 Whether domestic set-off mechanisms for foreign tax paid constitute prohibited State aid under Article 107(1) TFEU

Ratio Decidendi

Commission Decision (EU) 2019/700 does not preclude national authorities from applying a domestic provision allowing set-off of taxes paid abroad against taxes due in Gibraltar, provided the provision was applicable at the time of the relevant operations and is not selective or discriminatory under Article 107(1) TFEU.

Court Disposition

Reference answered; Decision 2019/700 does not preclude application of domestic set-off for foreign tax paid, if applicable under national law.