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
2012/C 209/05
Language of the case: Polish
Applicant: Emerging Markets Series of DFA Investment Trust Company
Defendant: Dyrektor Izby Skarbowej w Bydgoszczy
1.Does Article 56(1) EC (now Article 63 TFEU) apply to an assessment of the permissibility of the application by a Member State of provisions of national law which draw a distinction between the legal situation of taxable persons in such a way that they grant, as part of a general tax exemption, an exemption from flat-rate corporation tax on dividends received by investment funds established in a Member State of the European Union but do not provide for such an exemption for an investment fund which is resident for tax purposes in the USA?
2.Can the difference between the treatment of funds established in a non-member country and that of funds established in a Member State of the European Union, as provided for in national law with regard to the exemption relating to corporation tax, be regarded as legally justified in the light of Article 58(1)(a) EC, in conjunction with Article 58(3) EC (now Article 65(1)(a) TFEU, in conjunction with Article 65(3) TFEU)?