I imagine what I want to write in my case, I write it in the search engine and I get exactly what I wanted. Thank you!
Valentina R., lawyer
Language of the case: French
Applicant: Atenor Group SA
Defendant: Belgian State — SPF Finances
Does the first indent of Article 4 of Council Directive 90/435/EEC of 23 July 1990 on the common system of taxation applicable in the case of parent companies and subsidiaries of different Member States preclude national legislation making the deduction of dividends received as definitively taxed income subject to the existence of a taxable profit of the parent company?
(<span class="super">1</span>) OJ 1990 L 225, p. 6.