Exemption of Inbound Dividends from Non-Corporate Taxes under the EU Parent-Subsidiary Directive – Opinion Statement ECJ-TF 4/2025 on the Decision of the CJEU of 1 August 2025 in Banca Mediolanum (Joined Cases C-92/24 to C-94/24)
et_2026_01Exemption of Inbound Dividends from Non-Corporate Taxes under the EU Parent-Subsidiary Directive – Opinion Statement ECJ-TF 4_2025 on the Decision of the CJEU of 1 August 2025 in Banca Mediolanum (Joi - IBFD.pdf
[en] In this CFE Opinion Statement, submitted to the EU Institutions in November 2025, the CFE ECJ Task Force comments on the CJEU’s decision of 1 August 2025 in Banca Mediolanum (Joined Cases C-92/24 to C-94/24) concerning the application of the exemption method under article 4(1)(a) of the EU Parent-Subsidiary Directive (2011/96) (PSD) to a non-corporation tax, specifically the Italian regional tax on production activities (IRAP). Deviating from Advocate General Kokott’s Opinion and her proposed analysis of tax comparability, the Court concluded, based on a textual, contextual and teleological interpretation, that ratione materiae the exemption under article 4(1)(a) of the PSD applies to any tax that includes qualified dividends in its tax base. This is irrespective of the fact that article 2 of the PSD defines its ratione personae by reference to specifically listed domestic corporate taxes, of which the IRAP is not one.
Disciplines :
European & international law Tax law
Author, co-author :
Kofler, Georg
Garcia Prats, Alfredo
HASLEHNER, Werner ; University of Luxembourg > Faculty of Law, Economics and Finance (FDEF) > Department of Law (DL)
Kemmeren, Eric
Lang, Michael
Nogueira, João
Raventós-Calvo, Stella
Richelle Graulich, Isabelle
Rust, Alexander
External co-authors :
yes
Language :
English
Title :
Exemption of Inbound Dividends from Non-Corporate Taxes under the EU Parent-Subsidiary Directive – Opinion Statement ECJ-TF 4/2025 on the Decision of the CJEU of 1 August 2025 in Banca Mediolanum (Joined Cases C-92/24 to C-94/24)