The Court of Justice has given a judgment in the case Marinov.

Article 18(c) of Council Directive 2006/112/EC is to be interpreted as also covering the cessation of the taxable economic activity as a result of the removal of the taxable person from the value added tax register. Article 74 of Directive 2006/112 is to be interpreted as precluding a provision of national law under which, in the event of the cessation of the taxable economic activity, the taxable amount of the transaction is to be the open market value of the assets in existence at the time of that cessation, unless that value corresponds in practice to the residual value of those goods at that date and account is thus taken of the change in the value of those goods between the date of their acquisition and the date of the cessation of the taxable economic activity. Article 74 of Directive 2006/112 has direct effect.

CJ, nr. C-142/12, 8 May 2013

Informatiesoort: Nieuws

Rubriek: Europees belastingrecht, Omzetbelasting

H&I: Previews

2

Gerelateerde artikelen