Top Stories

EUROPEAN COMMISSION TIGHTENS KEY EU CORPORATE TAX RULES

Published by Gbaf News

Posted on January 1, 2014

3 min read

· Last updated: January 22, 2026

Add as preferred source on Google
Offshore trust benefits for international banking strategies - Global Banking & Finance Review
This image illustrates the concept of offshore trusts and their role in international banking strategies, emphasizing asset protection and tax advantages for financial planning.
Global Banking & Finance Awards 2026 — Call for Entries

The European Commission (EC) has proposed amendments to key EU corporate tax legislation to close corporate tax avoidance loopholes and introduce a common anti-abuse rule. The proposal will close loopholes in the Parent-Subsidiary Directive, originally conceived to prevent double taxation of same-group companies based in different countries, by updating the anti-abuse provision in the directive […]

The European Commission (EC) has proposed amendments to key EU corporate tax legislation to close corporate tax avoidance loopholes and introduce a common anti-abuse rule.

Charles Savva

Charles Savva

The proposal will close loopholes in the Parent-Subsidiary Directive, originally conceived to prevent double taxation of same-group companies based in different countries, by updating the anti-abuse provision in the directive and ensuring that it is tightened up so that specific tax planning arrangements cannot benefit from tax exemptions.

Member states are expected to implement the amended directive by 31 December 2014.

Algirdas Šemeta, the European Commissioner for Taxation and Customs Union, Audit and Anti-Fraud, said that EU tax policy is focused on creating a better business environment in the EU. He further stated, “This means breaking down tax barriers and tackling cross-border problems such as double taxation. But when our rules are abused to avoid paying any tax at all, then we need to adjust them. The proposal will ensure greater revenues for national budgets and fairer competition for our businesses.”

Making changes on the EU’s Parent Subsidiary Directive will ensure it works in the way intended, namely to prevent companies from incurring extra costs from operating in more than one EU Member State by paying double-taxation, and will help clarify the rules for companies as well as help governments collect the taxes.

The European Commission (EC) has proposed amendments to key EU corporate tax legislation to close corporate tax avoidance loopholes and introduce a common anti-abuse rule.

Charles Savva

Charles Savva

The proposal will close loopholes in the Parent-Subsidiary Directive, originally conceived to prevent double taxation of same-group companies based in different countries, by updating the anti-abuse provision in the directive and ensuring that it is tightened up so that specific tax planning arrangements cannot benefit from tax exemptions.

Member states are expected to implement the amended directive by 31 December 2014.

Algirdas Šemeta, the European Commissioner for Taxation and Customs Union, Audit and Anti-Fraud, said that EU tax policy is focused on creating a better business environment in the EU. He further stated, “This means breaking down tax barriers and tackling cross-border problems such as double taxation. But when our rules are abused to avoid paying any tax at all, then we need to adjust them. The proposal will ensure greater revenues for national budgets and fairer competition for our businesses.”

Making changes on the EU’s Parent Subsidiary Directive will ensure it works in the way intended, namely to prevent companies from incurring extra costs from operating in more than one EU Member State by paying double-taxation, and will help clarify the rules for companies as well as help governments collect the taxes.

Related Articles

More from Top Stories

Explore more articles in the Top Stories category