Kofoed (Taxation) [2007] EUECJ C-321/05 (05 July 2007)

Kofoed (Taxation) [2007] EUECJ C-321/05 (05 July 2007)

A dividend paid after an exchange of shares is not included in the calculation of 'cash payment' under Article 2(d) of Directive 90/434 unless it forms binding consideration for the acquisition. Therefore, the exchange of shares constitutes an 'exchange of shares' within the meaning of the directive and is, in...

Source-derived case information.

Citation
[2007] EUECJ C-321/05
Parties
Applicant: Mr Kofoed; Respondent: Skatteministeriet (Danish Ministry of Fiscal Affairs)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling / Reference for Interpretation
Outcome
Preliminary ruling issued
Legal Topics
Exchange of Shares, Tax Exemption, Abuse of Rights, Tax Evasion, Tax Avoidance
Tax Law EU Law Exchange of Shares Tax Exemption Abuse of Rights Tax Evasion Tax Avoidance

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Parties

Mr Kofoed

Applicant

Skatteministeriet (Danish Ministry of Fiscal Affairs)

Respondent

Procedural Posture

Preliminary Ruling / Reference for Interpretation

  1. 1 Whether a dividend paid after an exchange of shares should be included in the calculation of 'cash payment' under Article 2(d) of Directive 90/434
  2. 2 Whether Article 8(1) of Directive 90/434 precludes taxation of the exchange of shares in the circumstances
  3. 3 Whether national authorities may apply abuse of rights principles in the absence of specific transposition of Article 11(1)(a) of Directive 90/434

Ratio Decidendi

A dividend paid after an exchange of shares is not included in the calculation of 'cash payment' under Article 2(d) of Directive 90/434 unless it forms binding consideration for the acquisition. Therefore, the exchange of shares constitutes an 'exchange of shares' within the meaning of the directive and is, in principle, exempt from taxation under Article 8(1), unless national rules on abuse of rights, tax evasion, or tax avoidance interpreted in accordance with Article 11(1)(a) justify taxation.

Court Disposition

Preliminary ruling issued

Orders

  • Dividend not included in 'cash payment' calculation under Article 2(d) of Directive 90/434
  • Exchange of shares constitutes an 'exchange of shares' under Directive 90/434