Tax policy convergence and EU fiscal State aid control in search of rationality Cees Peters
By: Peters, Cees
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Item type | Current location | Home library | Call number | Status | Date due | Barcode |
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Artículos | IEF | IEF | OP 2141-B/2019/1-2 (Browse shelf) | Available | OP 2141-B/2019/1-2 |
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OP 2141-B/2018/6-6 New perspectives on fiscal State aid | OP 2141-B/2019/1 EC Tax Review | OP 2141-B/2019/1-1 The energy transition and fiscal policy | OP 2141-B/2019/1-2 Tax policy convergence and EU fiscal State aid control | OP 2141-B/2019/1-3 The tax debtor's right of defence in case of cross-border collection of taxes | OP 2141-B/2019/1-4 ECJ judgment in Hamamatsu case | OP 2141-B/2019/1-5 The Polish clearing house system |
Resumen.
This article deals with the limits of article 107 TFEU (State aid) within the complex multi-level tax governance system of the EU. This article claims that the legal determination of these limits - as reflected in the distinction between general measures and fiscal State aids - cannot provide for a rational explanation concerning the balance of power between the Member States and the European Commission.
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