COMMISSION DECISION (EU) 2015/314 | 32015D0314 — European Union law | Esheria

COMMISSION DECISION (EU) 2015/314

The decision describes Spain’s tax-goodwill deduction scheme and the dispute over whether it also applies to indirect shareholdings through holding companies.

Jurisdiction
European Union
Instrument
Decision
Citation
32015D0314
Status
In force
Version
Undated source snapshot
Language
en
Official source
View official record ↗
corporate tax corporate taxation cross-border acquisitions financial goodwill foreign shareholdings goodwill recovery of aid reporting obligations share acquisitions shareholdings tax deduction

Statute overview

About this statute

The decision describes Spain’s tax-goodwill deduction scheme and the dispute over whether it also applies to indirect shareholdings through holding companies. The text says the Spanish tax administration must use the same criteria for taxpayers in identical factual situations, and that tax-opinion responses bind the tax administration. The decision says Spain must end the aid scheme for indirect shareholding acquisitions, recover incompatible aid, cancel outstanding payments, and report implementation to the Commission on a fixed timetable. This segment mainly lists legal citations and references to cases, letters, regulations, and a Spanish tax provision.

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