Close Menu
    Latest Category
    • Finance
    • Tech
    • EU Law
    • Energy
    • About
    • Contact
    EUbusiness.com | EU news, business and politicsEUbusiness.com | EU news, business and politics
    Login
    • EU News
    • Focus
    • Guides
    • Press
    • Jobs
    • Events
    • Directory
    EUbusiness.com | EU news, business and politicsEUbusiness.com | EU news, business and politics
    Home » New EU dispute resolution for double taxation in force

    New EU dispute resolution for double taxation in force

    npsnps2 July 2019Updated:25 June 2024 Finance
    — Filed under: EU News Headline2 Tax
    Share
    Facebook Twitter LinkedIn Pinterest Email
    New EU dispute resolution for double taxation in force

    Tax

    (BRUSSELS) – New rules to ensure more effective resolution of tax disputes between EU Member States came into force Monday, offering more tax certainty for businesses and individuals experiencing double taxation issues.

    The new system will help to find solutions for tax disputes between Member States that can arise from the interpretation and application of international agreements and conventions providing for the elimination of double taxation. Estimates show that 2000 such disputes are currently pending in the EU, out of which around 900 are over 2 years old.

    The mechanism will ensure that businesses and citizens can resolve disputes related to tax treaties more swiftly and effectively, in particular those related to double taxation – a major obstacle for businesses and individuals that creates uncertainty, unnecessary costs and cash-flow problems. At the same time, the new directive introduces more transparency around tax disputes in the EU.

    “A fair and efficient tax system in the EU should also ensure that the same revenue is not taxed twice by two different Member States,” said Pierre Moscovici, Commissioner for Economic and Financial Affairs: “When that happens, the problem should be solved swiftly and efficiently. From today, resolving tax disputes will be a lot easier. Companies, in particular small businesses, and individuals that may be experiencing cash flow problems as a result of double taxation will see their rights considerably enhanced. They can now be more certain that their tax matters will be resolved by the relevant judicial authorities in an acceptable and predictable time-frame, instead of dragging on for years.”

    Double taxation occurs when two or more countries claim the right to tax the same income or profits of a company or person. This can, for example, arise from a mismatch between national rules of different jurisdictions or divergent interpretations of the same provision in a bilateral tax treaty. Until now, there has only been a multilateral convention that gives tax authorities the possibility to submit a dispute to arbitration, but without any means for the taxpayer to trigger this process himself. Neither are tax authorities currently required to reach a final agreement.

    How will the dispute resolution mechanism work?

    The new directive on tax dispute resolution mechanisms should help to better resolve tax disputes because Member States will now have a legal duty to take conclusive decisions:

    • Taxpayers facing tax disputes that arise from bilateral tax agreements or conventions that provide for the elimination of double taxation can now initiate a mutual agreement procedure whereby the Member States in question must try to resolve the dispute amicably within two years.
    • If no solution has been found at the end of this 2-year period, the taxpayer can request the setting up of an Advisory Commission to deliver an opinion. If Member States fail to do this, the taxpayer can bring an action before its national court and force Member States to act.
    • This Advisory Commission will be comprised of three independent members appointed by the Member States concerned and representatives of the competent authorities in question. It must deliver an opinion within 6 months, which the Member States concerned must carry out unless they agree to another solution within the 6 months following the opinion.
    • If the decision is not implemented, the taxpayer who has accepted the final decision and renounced his right to domestic remedies within 60 days from notification may seek to enforce its implementation before the national courts. Member States are obliged to notify taxpayers and publish the full final decision or an abstract.

    The new directive applies to complaints submitted from 1 July 2019 onwards, relating to questions of dispute in matters of income or capital earned in a tax year commencing on or after 1 January 2018. The competent authorities can also agree to apply the directive to any complaint submitted prior to that day or to earlier tax years.

    Resolution of tax disputes in the European Union – further information

    Add A Comment
    Leave A Reply Cancel Reply

    You must be logged in to post a comment.

    nps
    • Website

    Related Content

    Raffaele Fitto - Photo by Bogdan Hoyaux © European Union 2026

    EU to step up support for states bordering Russia, Belarus and Ukraine

    Tax haven - Photo by John Prefer on Unsplash

    EU adds Vietnam and Turks & Caicos Islands to tax havens blacklist

    ESM

    Experienced Financial Sector and Market Analysis Expert, European Stability Mechanism, ESM

    Sponsor: ESM11 February 2026
    Parcel post - Image by congerdesign from Pixabay

    EU introduces EUR 3 levy on small parcels from China

    Solar panel house - Photo by William Mead on Pexels

    EUR 3 billion to drive EU investment in decarbonising buildings, road transport

    Parcel post - Image by congerdesign from Pixabay

    Financial Advisor, EU Programmes, hub.brussels

    LATEST EU NEWS
    Trade in cars - Photo by Tom Fisk on Pexels

    EU trade in goods in Q4 2025 shows EUR 28.4 bn surplus

    18 February 2026
    Raffaele Fitto - Photo by Bogdan Hoyaux © European Union 2026

    EU to step up support for states bordering Russia, Belarus and Ukraine

    18 February 2026
    SHEIN - Photo by appshunter.io on Unsplash

    EU launches probe in Shein for potentially selling child sexual abuse material

    17 February 2026
    Tax haven - Photo by John Prefer on Unsplash

    EU adds Vietnam and Turks & Caicos Islands to tax havens blacklist

    17 February 2026
    Albares Bueno - Sefcovic - Photo by Bogdan Hoyaux © European Union 2025

    Brussels adopts Gibraltar treaty proposals

    17 February 2026

    Subscribe to EUbusiness Week

    Get the latest EU news

    CONTACT INFO

    • EUbusiness, 117 High Street, Chesham Buckinghamshire, HP5 1DE, United Kingdom
    • +44(0)20 8058 8232
    • service@eubusiness.com

    INFORMATION

    • About Us
    • Advertising
    • Contact Info

    Services

    • Privacy Policy
    • Terms
    • EU News

    SOCIAL MEDIA

    Facebook
    eubusiness.com © EUbusiness Ltd 2026

    Type above and press Enter to search. Press Esc to cancel.

    Sign In or Register

    Welcome Back!

    Login to your account below.

    Lost password?