Order of the Court (Fifth Chamber) of 12 July 2012
Tate & Lyle Investments Ltd v Belgische Staat
Reference for a preliminary ruling — Rechtbank van eerste aanleg te Brussel — Interpretation of Article 63 TFEU — Restrictions on the free movement of capital — Tax legislation — Corporation tax — Tax on dividends — National rules providing for a 10% withholding tax on dividends distributed by resident companies and on assimilated income — Imputation to corporation tax of the amount withheld possible only for resident companies.
The first subparagraph of Article 104(3) of the Rules of Procedure — Article 63 TFEU — Tax legislation — Payment of dividends — Withholding tax — Prevention or mitigation of a series of charges to tax — Different treatment of resident recipient companies and non‑resident recipient companies
Case C‑384/11
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published in the electronic Reports of Cases (Court Reports - general - 'Information on unpublished decisions' section)
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Order
ECLI:EU:C:2012:463 |
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