Collée (Taxation) [2007] EUECJ C-146/05 (27 September 2007)

Collée (Taxation) [2007] EUECJ C-146/05 (27 September 2007)

A Member State may not refuse to exempt an intra-Community supply from VAT solely because evidence was not produced in good time, provided the substantive requirements are met and there is no risk of loss in tax revenues. Initial concealment is only relevant if it creates such a risk and the risk has not been wholly...

Source-derived case information.

Citation
[2007] EUECJ C-146/05
Parties
Applicant: Mr Collée (as full legal successor to Collée KG); Respondent: Finanzamt Limburg an der Lahn
Jurisdiction
European Union
Procedural Posture
Reference for a Preliminary Ruling (cjeu) / Preliminary Ruling on Interpretation of EU Law
Outcome
Reference answered; national measure precluded
Legal Topics
Value Added Tax (vat), Intra Community Supplies, Tax Exemption, Formal Requirements, Principle of Proportionality
Tax Law European Union Law Value Added Tax (vat) Intra Community Supplies Tax Exemption Formal Requirements Principle of Proportionality

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Parties

Mr Collée (as full legal successor to Collée KG)

Applicant

Finanzamt Limburg an der Lahn

Respondent

Procedural Posture

Reference for a Preliminary Ruling (cjeu) / Preliminary Ruling on Interpretation of EU Law

  1. 1 Whether a Member State may refuse VAT exemption for an intra-Community supply solely because evidence was not produced in good time
  2. 2 Whether initial concealment of the intra-Community supply by the taxable person affects the right to exemption

Ratio Decidendi

A Member State may not refuse to exempt an intra-Community supply from VAT solely because evidence was not produced in good time, provided the substantive requirements are met and there is no risk of loss in tax revenues. Initial concealment is only relevant if it creates such a risk and the risk has not been wholly eliminated.

Court Disposition

Reference answered; national measure precluded

Orders

  • The first subparagraph of Article 28c(A)(a) of Sixth Directive 77/388/EEC precludes refusal of VAT exemption solely due to late production of evidence if the supply actually took place.
  • Initial concealment is relevant only if there is a risk of loss in tax revenues not wholly eliminated by the taxable person.