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(Case C-507/20) (*)
(Reference for a preliminary ruling - Common system of value added tax (VAT) - Directive 2006/112/EC - Article 90 - Reduction of the taxable amount - Total or partial non-payment of the price - Debt which has become definitively irrecoverable - Limitation period regarding applications for a subsequent reduction in the taxable amount of VAT - Date on which time starts to run)
(2021/C 228/13)
Language of the case: Hungarian
Applicant: FGSZ Földgázszállító Zrt.
Defendant: Nemzeti Adó- és Vámhivatal Fellebbviteli Igazgatósága
Article 90 of Council Directive 2006/112/EC of 28 November 2006 on the common system of value added tax, read in conjunction with the principles of fiscal neutrality and effectiveness, must be interpreted as meaning that, where a Member State lays down a limitation period after which a taxable person, who has a debt which has become definitively irrecoverable, can no longer assert his right to obtain a reduction in the taxable amount, that limitation period must begin to run not from the date of performance of the payment obligation initially provided for, but from the date on which the debt became definitively irrecoverable.
(*) Language of the case: Hungarian.