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4 - Abuse of rights and European tax law

Published online by Cambridge University Press:  07 December 2009

Wolfgang Schön
Affiliation:
Professor, Ludwig Maximilian University, Munich, Germany
John Avery Jones
Affiliation:
London School of Economics and Political Science
Peter Harris
Affiliation:
University of Cambridge
David Oliver
Affiliation:
University of Cambridge
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Summary

Introduction

The author's personal relationship with John Tiley begins with the reading of his writings on tax avoidance some twenty years ago. Having returned to Germany from a three-month stint with City law firm Herbert Smith, I felt the necessity to keep my knowledge of UK law (and – even more important for a continental lawyer – of English legal terminology) updated. Respectfully, I resorted to the British Tax Review and the first piece I ever read in this prestigious journal was Tiley's masterly analysis of common law cases on tax avoidance. I got stuck with the writer and his topic (and the journal) immediately and followed his work (at least insofar as it was published in sources available on the other side of the Channel) during the following years. The first time I started to build my own thoughts on these writings occurred in 1995, when I gave a lecture on tax avoidance and EC law at Bonn University which ventured to set out a common understanding of tax avoidance both from a comparative view of Member States' legal approaches to tax planning and from an autonomous interpretation of EC law. Seven years later, I added a second piece to this mosaic which dealt with the concept of abuse in the ECJ's company law cases. Unfortunately, these presentations were not published in English.

Type
Chapter
Information
Comparative Perspectives on Revenue Law
Essays in Honour of John Tiley
, pp. 75 - 98
Publisher: Cambridge University Press
Print publication year: 2008

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