Google Ireland (Judgment : Tax provisions - Tax on advertising activities based on turnover) [2020] EUECJ C-482/18 (03 March 2020)

Google Ireland (Judgment : Tax provisions - Tax on advertising activities based on turnover) [2020] EUECJ C-482/18 (03 March 2020)

Article 56 TFEU does not preclude a Member State from imposing an obligation to submit a tax declaration on non-resident suppliers of advertising services where resident suppliers are exempt due to existing registration for other taxes. However, Article 56 TFEU precludes legislation that imposes a series of rapidly...

Source-derived case information.

Citation
[2020] EUECJ C-482/18
Parties
Applicant: Google Ireland Limited; Respondent: Nemzeti Adó- és Vámhivatal Kiemelt Adó- és Vámigazgatósága (National Tax and Customs Authority, Hungary)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (cjeu) / Final Judgment
Outcome
Partial incompatibility with EU law declared
Legal Topics
Freedom to Provide Services, Non Discrimination, Tax Penalties, Proportionality, Right to Effective Remedy, Right to Good Administration
European Union Law Tax Law Administrative Law Freedom to Provide Services Non Discrimination Tax Penalties Proportionality Right to Effective Remedy +1 more

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Parties

Google Ireland Limited

Applicant

Nemzeti Adó- és Vámhivatal Kiemelt Adó- és Vámigazgatósága (National Tax and Customs Authority, Hungary)

Respondent

Procedural Posture

Preliminary Ruling (cjeu) / Final Judgment

  1. 1 Whether Article 56 TFEU precludes national legislation imposing disproportionate fines on non-resident service providers for failure to submit a tax declaration
  2. 2 Whether such legislation constitutes a restriction on the freedom to provide services and violates the principle of non-discrimination
  3. 3 Whether the administrative procedure and remedies available to non-resident taxpayers comply with Articles 41 and 47 of the Charter

Ratio Decidendi

Article 56 TFEU does not preclude a Member State from imposing an obligation to submit a tax declaration on non-resident suppliers of advertising services where resident suppliers are exempt due to existing registration for other taxes. However, Article 56 TFEU precludes legislation that imposes a series of rapidly escalating fines on non-resident suppliers for failure to comply with such an obligation, where the fines are disproportionate, do not allow time to comply or submit observations, and are significantly higher than those imposed on resident suppliers for similar failures.

Court Disposition

Partial incompatibility with EU law declared

Orders

  • Article 56 TFEU does not preclude the obligation to submit a tax declaration for non-resident suppliers where residents are exempt due to other tax registrations.
  • Article 56 TFEU precludes the imposition of a series of rapidly escalating fines on non-resident suppliers for failure to submit a tax declaration, where such fines are disproportionate and do not allow time to comply or submit observations.