State aid and tax law
Author(s)
Bibliographic Information
State aid and tax law
(International tax conferences of the University of Luxembourg, v. 3)
Wolters Kluwer Law & Business, c2013
Available at 5 libraries
  Aomori
  Iwate
  Miyagi
  Akita
  Yamagata
  Fukushima
  Ibaraki
  Tochigi
  Gunma
  Saitama
  Chiba
  Tokyo
  Kanagawa
  Niigata
  Toyama
  Ishikawa
  Fukui
  Yamanashi
  Nagano
  Gifu
  Shizuoka
  Aichi
  Mie
  Shiga
  Kyoto
  Osaka
  Hyogo
  Nara
  Wakayama
  Tottori
  Shimane
  Okayama
  Hiroshima
  Yamaguchi
  Tokushima
  Kagawa
  Ehime
  Kochi
  Fukuoka
  Saga
  Nagasaki
  Kumamoto
  Oita
  Miyazaki
  Kagoshima
  Okinawa
  Korea
  China
  Thailand
  United Kingdom
  Germany
  Switzerland
  France
  Belgium
  Netherlands
  Sweden
  Norway
  United States of America
Note
Papers presented at the "Conference on state aid and tax law" on November 17, 2011 in the frame of the International tax law series of the University of Luxembourg
Includes bibliographical references
Description and Table of Contents
Description
This book provides clear guidance on what constitutes State Aid in the area of tax law. It clearly explains the situations in which beneficial tax provisions for the taxpayer - e.g., lower tax rates for certain industries or for certain economic zones, advantageous depreciation rules, or exemptions - can be declared void by the European Commission. The difficult controlling concept of 'selectivity' of an aid is dealt with extensively. Drawing on familiarity with the practice of the Commission, as well as the jurisprudence of the General Court and of the Court of Justice, thirteen knowledgeable contributors present valuable arguments in case the Commission requires the repayment of advantages received. Among the topics and issues covered are the following: how unregulated tax incentive competition between States leads to a 'win' by one State and a 'loss' by another; the legal uncertainty attached to the Commission's decision following notification of a proposed tax incentive; the role of the Commission's Code of Conduct; calculating the amount of recovery of illegal State Aid; application of State Aid rules in the area of indirect taxation (e.g.,
VAT and excise duties); investment fund regimes; subnational regional aid; 'patent box' regimes; foreign source income; and taxpayers' exclusion from infringement proceedings and subsequent appeals.
Table of Contents
- Foreword
- J. Azizi. Introduction
- A. Rust Comparison between the US and the EU system
- T. Kaye The Relationship between State Aid and Harmful Tax Competition
- P. Rossi. State Aid and the Recovery of Taxes
- M. Afonso. State Aid and Indirect Taxation
- J. Englisch. The Selectivity Test: General Part
- H. Drabbe. The Selectivity Test: The Concept of 'Sectoral Aid'
- R. Luja. The Selectivity Test: The Concept of 'Regional Aid'
- E. Traversa. Flaws of the Selectivity Test
- F. Engelen. Case Studies
- C. Micheau, G.C. de la Brousse. State Aid and Procedural Issues
- K. O'Donnell, A. Muller.
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