The EFTA Surveillance Authority concluded that certain interest cap rules contained in the Norwegian Tax Act breach the EEA Agreement.

The EFTA Surveillance Authority concluded that by maintaining in force interest deductibility restrictions, such as the one laid down in Section 6-41 NTA, in particular Section 6-41(3-4) NTA, thereby deterring Norwegian companies from establishing cross-border groups with affiliated group members in other EEA States (or conversely, deterring companies from such States from establishing similar groups with affiliated group members in Norway), Norway has failed to fulfil its obligation arising from Article 31 of the EEA Agreement. 

818742

 

Informatiesoort: Nieuws

Rubriek: Europees belastingrecht

H&I: Previews

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