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This overview highlights the Court’s decision on legislation of a Member State that (i) imposes tax on income received by a resident individual as remuneration from a non-EU Member State in exchange for providing work expertise on an EU-financed project (Case C-321/22), and (ii) that fully taxes capital gains derived by resident individuals on transfers of shares held in foreign companies while providing for a 50% tax exemption in respect of domestic share transfers (Case C-472/22).
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A. Xygka (Tue,) studied this question.
www.synapsesocial.com/papers/68e6a4e2b6db64358762796e — DOI: https://doi.org/10.59403/dvdfa6
A. Xygka
European Taxation
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