This overview highlights the General Court’s decision on (i) upholding the Commission’s decision on Belgian excess profit scheme and (ii) annulling Commission’s decision on the Spanish tax scheme deduction for indirect acquisitions of shareholdings.
This overview highlights the General Court’s decision on (i) upholding the Commission’s decision on Belgian excess profit scheme and (ii) annulling Commission’s decision on the Spanish tax scheme deduction for indirect acquisitions of shareholdings.