Keva and Others (Free movement of capital - Taxation of dividends received by pension funds governed by public law - Difference in treatment between resident and non-resident pension funds governed by public law - Judgment) [2024] EUECJ C-39/23 (29 July 2024)

Keva and Others (Free movement of capital - Taxation of dividends received by pension funds governed by public law - Difference in treatment between resident and non-resident pension funds governed by public law - Judgment) [2024] EUECJ C-39/23 (29 July 2024)

Article 63 TFEU precludes national legislation under which dividends distributed by resident companies to non-resident pension institutions governed by public law are subject to withholding tax, while dividends distributed to resident pension funds governed by public law are exempt, as this constitutes a restriction...

Source-derived case information.

Citation
[2024] EUECJ C-39/23
Parties
Applicant: Keva; Applicant: Landskapet Ålands pensionsfond; Applicant: Kyrkans Centralfond; Respondent: Skatteverket (Swedish tax agency)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling / Judgment of the Court of Justice of the European Union
Outcome
Article 63 TFEU precludes such national legislation; restriction not justified.
Legal Topics
Free Movement of Capital, Withholding Tax, Non Discrimination, Public Pension Funds, Comparability of Situations, Justification of Restrictions
EU Law Tax Law Free Movement of Capital Withholding Tax Non Discrimination Public Pension Funds Comparability of Situations Justification of Restrictions

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Parties

Keva

Applicant

Landskapet Ålands pensionsfond

Applicant

Kyrkans Centralfond

Applicant

Skatteverket (Swedish tax agency)

Respondent

Procedural Posture

Preliminary Ruling / Judgment of the Court of Justice of the European Union

  1. 1 Whether Article 63 TFEU precludes national legislation subjecting dividends paid to non-resident public pension institutions to withholding tax while exempting resident public pension funds
  2. 2 Whether resident and non-resident public pension funds are in objectively comparable situations
  3. 3 Whether any restriction is justified by overriding reasons in the public interest

Ratio Decidendi

Article 63 TFEU precludes national legislation under which dividends distributed by resident companies to non-resident pension institutions governed by public law are subject to withholding tax, while dividends distributed to resident pension funds governed by public law are exempt, as this constitutes a restriction on the free movement of capital that is not justified by overriding reasons in the public interest and concerns objectively comparable situations.

Court Disposition

Article 63 TFEU precludes such national legislation; restriction not justified.

Orders

  • Article 63 TFEU must be interpreted as precluding legislation of a Member State under which dividends distributed by resident companies to non-resident pension institutions governed by public law are subject to a withholding tax, whereas dividends distributed to resident pension funds governed by public law are...