SociEtE thermale d'EugEnie-Les-Bains (Taxation) [2006] EUECJ C-277/05 (13 September 2006)

SociEtE thermale d'EugEnie-Les-Bains (Taxation) [2006] EUECJ C-277/05 (13 September 2006)

Deposits paid in advance for hotel services and retained by the provider upon customer cancellation are remuneration for a reservation service and, as such, are subject to VAT under Articles 2(1) and 6(1) of Sixth Directive 77/388/EEC.

Source-derived case information.

Citation
[2006] EUECJ C-277/05
Parties
Plaintiff: Société thermale d'Eugénie-les-Bains; Defendant: Ministère de l'Économie, des Finances et de l'Industrie
Jurisdiction
European Union
Procedural Posture
Reference for a Preliminary Ruling / Opinion of Advocate General
Outcome
Sums paid as deposits and retained upon cancellation are subject to VAT as remuneration for reservation services.
Legal Topics
Value Added Tax, Hotel Services, Deposits, Compensation, Supply of Services
Taxation European Union Law Value Added Tax Hotel Services Deposits Compensation Supply of Services

Source-derived case record

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Parties

Société thermale d'Eugénie-les-Bains

Plaintiff

Ministère de l'Économie, des Finances et de l'Industrie

Defendant

Procedural Posture

Reference for a Preliminary Ruling / Opinion of Advocate General

  1. 1 Are deposits retained by hotel service providers upon customer cancellation subject to VAT under the Sixth Directive?
  2. 2 Do such deposits constitute remuneration for a distinct reservation service or compensation for loss?

Ratio Decidendi

Deposits paid in advance for hotel services and retained by the provider upon customer cancellation are remuneration for a reservation service and, as such, are subject to VAT under Articles 2(1) and 6(1) of Sixth Directive 77/388/EEC.

Court Disposition

Sums paid as deposits and retained upon cancellation are subject to VAT as remuneration for reservation services.

Orders

  • Articles 2(1) and 6(1) of Sixth Directive 77/388/EEC are to be interpreted as meaning that such deposits are subject to VAT.