24.1.2009 |
EN |
Official Journal of the European Union |
C 19/11 |
Reference for a preliminary ruling from the Unabhänger Finanzsenat, Außenstelle Linz (Austria) lodged on 3 October 2008 — Haribo Lakritzen Hans Riegel BetriebsgmbH v Finanzamt Linz
(Case C-436/08)
(2009/C 19/18)
Language of the case: German
Referring court
Unabhänger Finanzsenat, Außenstelle Linz
Parties to the main proceedings
Applicant: Haribo Lakritzen Hans Riegel BetriebsgmbH
Defendant: Finanzamt Linz
Questions referred
1. |
Does Community law preclude a national authority — in order to avoid discriminating against foreign equity holdings which, unlike domestic (Austrian) equity holdings, are not tax exempt under legislation until the size of the equity holding reaches 25 % (under present legislation 10 %) — from applying the credit method because the Austrian Verwaltungsgerichtshof (Administrative Court) has ruled that this outcome is closest to the (hypothetical) intention of the legislature, whilst tax exemption would be granted if the discriminatory 25 % (10 %) threshold for foreign equity holdings were simply not applied? |
2. |
Does Community law preclude: the general exemption of domestic equity holdings whilst the credit method is applied to foreign equity holdings of less than 25 % (10 %) and shareholders are faced with the impossible or disproportionately costly task of adducing evidence of a previous foreign charge to (corporation) tax; or
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3. |
Does Community law preclude a provision whereby the credit method is to apply to non-member-country equity holdings of less than 25 % (10 %) which fall within the scope of free movement of capital where the production of evidence of payment of a previous foreign charge to (corporation) tax is an impossible or disproportionately costly task because of the small size of the equity holdings, whilst provision is made for the exemption method to apply to domestic equity holdings in general — that is to say, irrespective of the size of the equity holdings — and relief from double economic taxation is therefore obtained in any event?
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