Request for a preliminary ruling from the Bundesfinanzhof in the case X.

 Is Article 57(1) EC (now Article 64(1) TFEU) to be interpreted as meaning that a restriction in a Member State which existed on 31 December 1993 in respect of the movement of capital to and from third countries involving direct investments is not affected by Article 56 EC (now Article 63 TFEU) even if the national law in force at the relevant date restricting the movement of capital to and from third countries essentially applied only to direct investments but was extended after that date to cover also investment holdings in foreign companies below the shareholding threshold of 10%?

C-135/17

 

Informatiesoort: Nieuws

Rubriek: Europees belastingrecht

H&I: Previews

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