Direktor na Direktsia „Obzhalvane i danachno-osiguritelna praktika“ (VAT - Obligation to counter illegal activities affecting the financial interests of the European Union - Judgment) [2022] EUECJ C-1/21 (13 October 2022)

Direktor na Direktsia „Obzhalvane i danachno-osiguritelna praktika“ (VAT - Obligation to counter illegal activities affecting the financial interests of the European Union - Judgment) [2022] EUECJ C-1/21 (13 October 2022)

Article 273 of the VAT Directive and the principle of proportionality do not preclude national legislation providing for joint and several liability for a legal person’s VAT debts, including default interest, where the person held liable is a manager or executive who, in bad faith, caused depletion of the legal...

Source-derived case information.

Citation
[2022] EUECJ C-1/21
Parties
Applicant: MC; Respondent: Direktor na Direktsia ‘Obzhalvane i danachno-osiguritelna praktika’ Veliko Tarnovo pri Tsentralno upravlenie na Natsionalnata agentsia za prihodite (Director of the Appeals and Tax and Social Security Practice Directorate of Veliko Tarnovo within the National Revenue Agency)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (reference for a Preliminary Ruling) / Judgment on Reference From National Court
Outcome
Reference answered; national legislation not precluded by EU law in described circumstances; third question inadmissible.
Legal Topics
Value Added Tax (vat), Joint and Several Liability, Principle of Proportionality, Default Interest, Enforcement of Tax Debts
European Union Law Tax Law Value Added Tax (vat) Joint and Several Liability Principle of Proportionality Default Interest Enforcement of Tax Debts

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Parties

MC

Applicant

Direktor na Direktsia ‘Obzhalvane i danachno-osiguritelna praktika’ Veliko Tarnovo pri Tsentralno upravlenie na Natsionalnata agentsia za prihodite (Director of the Appeals and Tax and Social Security Practice Directorate of Veliko Tarnovo within the National Revenue Agency)

Respondent

Procedural Posture

Preliminary Ruling (reference for a Preliminary Ruling) / Judgment on Reference From National Court

  1. 1 Whether Article 273 of the VAT Directive and the principle of proportionality preclude national legislation imposing joint and several liability for VAT debts on managers of legal persons in certain circumstances.
  2. 2 Whether such liability may extend to default interest on unpaid VAT.
  3. 3 Whether such liability is precluded where the late payment is not attributable to the conduct of the person held jointly and severally liable.

Ratio Decidendi

Article 273 of the VAT Directive and the principle of proportionality do not preclude national legislation providing for joint and several liability for a legal person’s VAT debts, including default interest, where the person held liable is a manager or executive who, in bad faith, caused depletion of the legal person’s assets resulting in non-payment of VAT, provided liability is limited to the amount of depletion and is incurred only if recovery from the legal person is impossible.

Court Disposition

Reference answered; national legislation not precluded by EU law in described circumstances; third question inadmissible.

Orders

  • Article 273 of the VAT Directive and the principle of proportionality do not preclude national legislation providing for joint and several liability for VAT debts in the described circumstances.
  • Such liability may extend to default interest if the failure to pay VAT is due to acts committed in bad faith by the person designated as jointly and severally liable.