The place of belonging of a business or other person is an important tenet of the tax. I have considered this issue at length here and recent case law here.
A recent CJEU case (C-333/20) involved a situation where a business had a registered office in one country and, potentially (hence the appeal) a fixed establishment in another.
Source: marcusward.co
Latest Posts in "European Union"
- Briefing document & Podcast: ECJ C-564/15 (Farkas) – Non-application Reverse-Charge, 50% tax penalty is disproportionate
- Pierrakakis at ECOFIN: Innovation and Digitalization as Europe’s Competitiveness Drivers
- Three Plead Guilty in €6.5 Million Tax Evasion and Money Laundering Case
- Transfer Pricing Adjustments and VAT Implications: Impact of Recent CJEU Decisions
- VAT Treatment of Loyalty Points in Lyko’s Scheme: Not Classified as Vouchers, Says AG Kokott