Jiri Sabou v Financni reditelstvi pro hlavni mesto Prahu [2013] EUECJ C-276/12 (22 October 2013)

Jiri Sabou v Financni reditelstvi pro hlavni mesto Prahu [2013] EUECJ C-276/12 (22 October 2013)

Directive 77/799/EEC and the fundamental right to be heard do not confer on taxpayers the right to be informed of, participate in, or challenge requests for information or witness examinations conducted under the Directive. The Directive does not govern the content of information exchanged or the taxpayer's right to...

Source-derived case information.

Citation
[2013] EUECJ C-276/12
Parties
Applicant: Mr Sabou; Respondent: Finanční ředitelství pro hlavní město Prahu (Tax Directorate for the City of Prague)
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling / Judgment
Outcome
Preliminary ruling issued; taxpayer's claimed rights under EU law denied.
Legal Topics
Mutual Assistance in Taxation, Rights of the Defence, Exchange of Information, Procedural Rights of Taxpayers
European Union Law Tax Law Mutual Assistance in Taxation Rights of the Defence Exchange of Information Procedural Rights of Taxpayers

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Parties

Mr Sabou

Applicant

Finanční ředitelství pro hlavní město Prahu (Tax Directorate for the City of Prague)

Respondent

Procedural Posture

Preliminary Ruling / Judgment

  1. 1 Whether Directive 77/799/EEC and the fundamental right to be heard confer on a taxpayer the right to be informed of, participate in, or challenge requests for information between Member State tax authorities.
  2. 2 Whether Directive 77/799/EEC imposes obligations regarding the content of information exchanged or the taxpayer's ability to challenge such information.

Ratio Decidendi

Directive 77/799/EEC and the fundamental right to be heard do not confer on taxpayers the right to be informed of, participate in, or challenge requests for information or witness examinations conducted under the Directive. The Directive does not govern the content of information exchanged or the taxpayer's right to challenge such information; these matters are left to national law.

Court Disposition

Preliminary ruling issued; taxpayer's claimed rights under EU law denied.

Orders

  • European Union law, as it results from Directive 77/799/EEC and the fundamental right to be heard, does not confer on a taxpayer the right to be informed of, participate in, or challenge requests for assistance or witness examinations between Member State tax authorities.
  • Directive 77/799/EEC does not govern the circumstances in which the taxpayer may challenge the accuracy or content of information conveyed by the requested Member State.