Book contents
- Frontmatter
- Dedication
- Contents
- Foreword to the First Edition by Malcolm Gammie QC
- Foreword to the First Edition by Michael Lang
- Foreword to the Second Edition by Philip Baker
- Preface to the First Edition
- Preface to the Second Edition
- 1 A Historical Trajectory of EU Corporate Tax Law
- 2 EU Corporate Tax Legislation
- 3 The Court of Justice and the Development of EU Corporate Tax Law
- 4 Tax Obstacles to the Cross-Border Movement of Companies: Direct Investment
- 5 Tax Obstacles to Cross-Border Portfolio Investment
- 6 Reorganisations under EU Tax Law
- 7 Tax Avoidance and EU Law
- 8 State Aid and Taxation
- 9 EU Corporate Tax Law: More Interim Conclusions and Thoughts
2 - EU Corporate Tax Legislation
Published online by Cambridge University Press: 28 May 2021
- Frontmatter
- Dedication
- Contents
- Foreword to the First Edition by Malcolm Gammie QC
- Foreword to the First Edition by Michael Lang
- Foreword to the Second Edition by Philip Baker
- Preface to the First Edition
- Preface to the Second Edition
- 1 A Historical Trajectory of EU Corporate Tax Law
- 2 EU Corporate Tax Legislation
- 3 The Court of Justice and the Development of EU Corporate Tax Law
- 4 Tax Obstacles to the Cross-Border Movement of Companies: Direct Investment
- 5 Tax Obstacles to Cross-Border Portfolio Investment
- 6 Reorganisations under EU Tax Law
- 7 Tax Avoidance and EU Law
- 8 State Aid and Taxation
- 9 EU Corporate Tax Law: More Interim Conclusions and Thoughts
Summary
Chapter 2 examined the current instruments of positive integration that affect Member State corporate tax systems. It was shown that, notwithstanding the limitations of the Union’s power to legislate in the direct tax field, there has been legislation in areas where it was deemed expedient for the proper functioning of the Internal Market. This legislation is, however, limited and targeted to specific situations. The Chapter examines the Parent-Subsidiary Directive, the Interest and Royalties Directive, the directives on mutual assistance, the Arbitration Convention and the Tax Dispute Resolution Mechanisms Directive. There is also a review of the Anti-Tax Avoidance Directive.
Keywords
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- Information
- European Union Corporate Tax Law , pp. 35 - 93Publisher: Cambridge University PressPrint publication year: 2021