Taxation Law Monthly List of Titles published under HK and UK Jurisdictions

Hybrid Mismatch Rules and EU Primary Law

By Ingrid Birgitte Lund
Kluwer Law International July 2025

Specifications

ISBN-13
9789403510590
Publisher
Kluwer Law International
Publication
July 2025
Format
Hardback
Jurisdiction
Netherlands ? Countri(es) for reference only

Details

Hybrid Mismatch Rules and EU Primary Law is a book exploring whether the transposed national hybrid mismatch rules, as enacted based on Articles 9, 9a, and 9b of the EU Anti-Tax Avoidance Directive (ATAD), infringe on taxpayers’ right to free movement under the fundamental freedoms and clarifies the extent of the protection these freedoms afford in direct tax cases. Hybrid mismatch rules obligate Member States to alter the tax treatment for cross-border transactions to prevent non-taxation or double non-taxation which may occur when a transaction is not only deductible for the payer but also deductible or not taxed as income for the payee.

What’s in this book:

The author’s in-depth analysis extends to the following considerations:

  • why hybrid mismatches arise
  • scope of application of the hybrid mismatch rules and the conditions for them to apply
  • whether the EU has the legal competence to enact hybrid mismatch rules
  • assessment of the hybrid mismatch rules under the CJEU-developed discrimination test, and
  • whether the general abuse of law principle serves as an exception to the taxpayer’s reliance on fundamental freedoms
How this will help you:

Acknowledging the conflict within international tax law between competition and cooperation – including the extent to which a taxpayer covered by the hybrid mismatch rules, by invoking the fundamental freedoms, can claim the benefits that hybrid mismatch rules deprive them of – the answers and clarifications in this deeply informed book contribute to foreseeability and legal certainty for both corporations and governments. With it as a guide, practitioners and policymakers will effectively apply hybrid mismatch rules, gain a deeper understanding of how these regulations influence taxpayers and their rights to free movement, and recognize how fundamental freedoms can be utilized for taxpayer protection.

Table of Contents

LIST OF ABBREVIATIONS
PREFACE AND ACKNOWLEDGEMENTS

CHAPTER 1. INTRODUCTION
CHAPTER 2. ADOPTION OF HYBRID MISMATCH PROVISIONS IN EU TAX LAW
CHAPTER 3. HYBRID MISMATCH PROVISIONS TAX CONSEQUENCES FOR TAXPAYERS
CHAPTER 4. PRIMARY EU LAW: FORMAL AND MATERIAL COMPETENCE AND LIMITATIONS
CHAPTER 5. FUNDAMENTAL FREEDOMS AS A CONSTITUTIONAL FRAMEWORK FOR DIRECT TAX DIRECTIVES
CHAPTER 6. THE APPLICABILITY AND CHOICE OF FREEDOM IN HYBRID MISMATCH SITUATIONS
CHAPTER 7. DO THE HYBRID MISMATCH RULES CONSTITUTE A RESTRICTION?
CHAPTER 8. ARE HYBRID MISMATCH RULES JUSTIFIED TO PREVENT TAX AVOIDANCE?
CHAPTER 9. ARE THE HYBRID MISMATCH RULES PROPORTIONAL?
CHAPTER 10. CONCLUSIONS AND ISSUES FOR DEBATE
BIBLIOGRAPHY

Table of Cases
Table of Official Documentation
Index
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