Turpeinen (Free movement of persons) [2006] EUECJ C-520/04 (09 November 2006)

Turpeinen (Free movement of persons) [2006] EUECJ C-520/04 (09 November 2006)

Article 18 EC precludes national legislation whereby the tax applicable to a retirement pension paid to a taxpayer living in another Member State is, in certain cases, higher than the tax which that taxpayer would have had to pay if he had been resident, where that taxpayer's income consists exclusively or...

Source-derived case information.

Citation
[2006] EUECJ C-520/04
Parties
Applicant: Pirkko Marjatta Turpeinen; Respondent: Uusimaa Tax Office / Finnish tax authorities
Jurisdiction
European Union
Procedural Posture
Preliminary Ruling / Opinion of Advocate General
Outcome
Article 18 EC is interpreted as precluding the Finnish legislation imposing higher tax on non-resident pensioners in circumstances where their income consists exclusively or principally of the retirement pension.
Legal Topics
Discrimination Based on Residence, Taxation of Retirement Pensions, Citizenship of the Union, Freedom of Movement
European Union Law Tax Law Free Movement of Persons Discrimination Based on Residence Taxation of Retirement Pensions Citizenship of the Union Freedom of Movement

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Parties

Pirkko Marjatta Turpeinen

Applicant

Uusimaa Tax Office / Finnish tax authorities

Respondent

Procedural Posture

Preliminary Ruling / Opinion of Advocate General

  1. 1 Does Finnish tax legislation imposing higher tax on retirement pensions paid to non-resident taxpayers violate EU law, specifically Article 18 EC and the principle of free movement?
  2. 2 Is Directive 90/365/EEC relevant to the taxation of retirement pensions for non-resident pensioners?

Ratio Decidendi

Article 18 EC precludes national legislation whereby the tax applicable to a retirement pension paid to a taxpayer living in another Member State is, in certain cases, higher than the tax which that taxpayer would have had to pay if he had been resident, where that taxpayer's income consists exclusively or principally of that retirement pension and the taxpayer is therefore not in a situation objectively different from that of resident taxpayers.

Court Disposition

Article 18 EC is interpreted as precluding the Finnish legislation imposing higher tax on non-resident pensioners in circumstances where their income consists exclusively or principally of the retirement pension.

Orders

  • National legislation must not impose higher tax on retirement pensions paid to non-resident taxpayers than would be imposed on residents in objectively comparable situations.