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EU court: Recovery of taxes that are contrary to EU law

Publication at Faculty of Law |
2014

Abstract

Article 49 and 63 of the Court of Justice of the EU, which is based on the assumption that taxpayers can choose between two ways of issue of unjust enrichment tax law, while one of them is a longer limitation period applies for preventing efficiency, legal certainty and the protection of legitimate expectations, that this limitation period be shortened without notice and retrospectively. It also contains a judgment C-362/12.