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
(Case C-194/15) (<span class="super">1</span>)
((Reference for a preliminary ruling - Articles 63 TFEU and 65 TFEU - Free movement of capital - Article 49 TFEU - Freedom of establishment - Direct taxation - Imposition of dividends - Bilateral agreement on double taxation - Judicial double taxation))
(2016/C 136/04)
Language of the case: Italian
Applicants: Véronique Baudinet, Adrien Boyer, Pauline Boyer, Edouard Boyer
Defendant: Agenzia delle Entrate — Direzione Provinciale I di Torino
Articles 49 TFEU, 63 TFEU and 65 TFEU must be interpreted as not precluding legislation of a Member State, such as the legislation at issue in the main proceedings, under which, when a resident of that Member State, a shareholder in a company established in another Member State, receives from that company dividends taxed in both States, that double taxation is not remedied by the grant in the shareholder’s State of residence of a tax credit at least equal to the amount of tax paid in the State of the source of those dividends.
* * *
(<span class="super">1</span>) OJ C 245, 27.7.2015.