Danner (Freedom to provide services) [2002] EUECJ C-136/00 (03 October 2002)

Danner (Freedom to provide services) [2002] EUECJ C-136/00 (03 October 2002)

Article 59 EC precludes national tax legislation that restricts or disallows deductibility for income tax purposes of contributions to voluntary pension schemes paid to providers in other Member States, while allowing such deductions for domestic providers, if the legislation does not also preclude taxation of...

Source-derived case information.

Citation
[2002] EUECJ C-136/00
Parties
Applicant: Mr Danner; Respondent: Siilinjärven Verotuksen Oikaisulautakunta (Siilinjärvi Taxation Verification Committee)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling (ecj) / Judgment on Reference From National Court
Outcome
Reference answered; national legislation precluded by Article 59 EC as interpreted.
Legal Topics
Freedom to Provide Services, Deductibility of Pension Contributions, Direct Taxation, Cross Border Pensions
European Union Law Tax Law Freedom to Provide Services Deductibility of Pension Contributions Direct Taxation Cross Border Pensions

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Parties

Mr Danner

Applicant

Siilinjärven Verotuksen Oikaisulautakunta (Siilinjärvi Taxation Verification Committee)

Respondent

Procedural Posture

Preliminary Ruling (ecj) / Judgment on Reference From National Court

  1. 1 Whether Finnish tax legislation restricting deductibility of pension contributions to foreign providers is contrary to Article 59 EC (now Article 49 EC) and related Treaty provisions.

Ratio Decidendi

Article 59 EC precludes national tax legislation that restricts or disallows deductibility for income tax purposes of contributions to voluntary pension schemes paid to providers in other Member States, while allowing such deductions for domestic providers, if the legislation does not also preclude taxation of pensions paid by those foreign providers.

Court Disposition

Reference answered; national legislation precluded by Article 59 EC as interpreted.

Orders

  • Article 59 EC precludes Member State tax legislation restricting deductibility of voluntary pension contributions to foreign providers if pensions from those providers remain taxable.