Pak-Holdco (Taxation) [2012] EUECJ C-372/10 (16 February 2012)

Pak-Holdco (Taxation) [2012] EUECJ C-372/10 (16 February 2012)

For Member States acceding to the EU after 1 July 1984, the mandatory exemption from capital duty in Article 7(1) of Directive 69/335, as amended, applies only to transactions that were exempt or taxed at 0.50% or less on that date in that State. The exclusion from the capital duty base in Article 5(3) applies to...

Source-derived case information.

Citation
[2012] EUECJ C-372/10
Parties
Applicant: Pak-Holdco sp. z o.o.; Respondent: Dyrektor Izby Skarbowej w Poznaniu (Director of the Tax Chamber in Poznań)
Jurisdiction
European Union
Procedural Posture
Reference for a Preliminary Ruling / Judgment of the Court of Justice (fourth Chamber) on Referred Questions
Outcome
Questions answered; interpretation provided to national court.
Legal Topics
Capital Duty, Indirect Taxation, Company Law, EU Accession, Interpretation of Directives
European Union Law Tax Law Capital Duty Indirect Taxation Company Law EU Accession Interpretation of Directives

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Parties

Pak-Holdco sp. z o.o.

Applicant

Dyrektor Izby Skarbowej w Poznaniu (Director of the Tax Chamber in Poznań)

Respondent

Procedural Posture

Reference for a Preliminary Ruling / Judgment of the Court of Justice (fourth Chamber) on Referred Questions

  1. 1 Interpretation of Article 7(1) of Directive 69/335 as amended by Directive 85/303 regarding mandatory exemption from capital duty for certain transactions in new Member States
  2. 2 Interpretation of the first indent of Article 5(3) of Directive 69/335 regarding exclusion of certain assets from the capital duty base

Ratio Decidendi

For Member States acceding to the EU after 1 July 1984, the mandatory exemption from capital duty in Article 7(1) of Directive 69/335, as amended, applies only to transactions that were exempt or taxed at 0.50% or less on that date in that State. The exclusion from the capital duty base in Article 5(3) applies to assets already subjected to capital duty, regardless of their origin, to prevent double taxation.

Court Disposition

Questions answered; interpretation provided to national court.

Orders

  • Article 7(1) of Directive 69/335, as amended, applies only to transactions exempt or taxed at 0.50% or less on 1 July 1984 in the acceding State.
  • Article 5(3) of Directive 69/335 applies to assets already subjected to capital duty, regardless of whether they originate from the company increasing its capital or another company.