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Valentina R., lawyer
(2021/C 28/49)
Language of the case: English
Appellant: GE Aircraft Engine Services Ltd
Defendant: The Commissioners for Her Majesty's Revenue & Customs
1.Does the issue of vouchers for third party retailers to employees by a taxable person as part of a recognition programme for high performing employees constitute a supply ‘for his private use or for that of his staff or, more generally, for purposes other than those of his business’ within the meaning of Article 26(1)(b) of the Principal VAT Directive (1)?
2.Does it have any significance in answering question 1 that the taxable person has a business purpose for the issuing of the retail vouchers to staff?
3.Does it have any significance in answering question 1 that the retail vouchers issued to staff members are for their own use and can be used for the staff members' private purposes?
Council Directive 2006/112/EC of 28 November 2006 on the common system of value added tax (OJ 2006, L 347, p. 1).