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The CJUE decided in its judgment of 29 July 2024 in answer to a question of the Belgian Constitutional Court that lawyers but not other persons having the right to represent taxpayers in court could be exempted from the obligation to notify other intermediaries that they were claiming legal privilege exempting them from the obligation to report certain cross-border tax arrangements under DAC 6. They had to inform their clients that this obligation rested on them.
Is the
exclusion from this right of other professionals subject to professional
secrecy under national law justified? The author analyses the opinion of the
advocate general and the judgment. He submits that this restriction is not
justified in view of the evolution of society and of national legislations. DAC
6 endorsed the judgment and confirmed the exemption as applicable to registered
lawyers only.