Double taxation
24.4.2015
Question for written answer E-006649-15
to the Commission
Rule 130
Michael Theurer (ALDE)
Where there is a risk of double taxation because of a lack of legal clarity at national level, does the Commission seek to initiate a mutual agreement procedure, as has already been introduced in connection with offences such as tax evasion?
If that is not the case, are there other moves to make the legal precept of turnover tax neutrality for enterprises at European level enforceable in respect of intra-EU matters?