Anti-Avoidance without Overtaxation: Mandatory Foreign Tax Credit under CFC Rules (C-524/23)

New
Journal
Author
Wouters, P.
Country
Belgium; European Union
Published Date
Issue
European Taxation 2026 (Volume 66), No. 5
FormatPDF
EUR
45
| USD
50 (VAT excl.)

On 26 February 2026, the Court of Justice of the European Union held that the (old) Belgian CFC rules were the result of an incomplete transposition of the ATAD) The Belgian legislature had refused to grant a tax credit under the Model B rules for the foreign taxes paid by a CFC (as required by article 8(7) of the ATAD), in the interest of better protection of the Belgian tax base, but the CJEU considered the corresponding (risk of) double taxation to be disproportionate.