Case Information
- Court: Supreme Administrative Court, Portugal
- Case No: 0120/12.9BEBJA 01224/16
- Applicant: A…, S.A.
- Defendant: AT – Tax and Customs Authority
- Judgment Date: 10 February 2024
The case concerns a tax dispute between A…, S.A., a Portuguese mining company, and AT – Tax and Customs Authority. At the heart of the issue was the sale of an industrial wash plant by A… to B…, S.A., at a symbolic price of €1. AT contended that the sale breached transfer pricing principles under Article 58 of the IRC Code. It argued that a special relationship existed between the parties at the time of negotiating the transaction, which enabled a non-arm’s length price to be set, resulting in an under-reported tax liability.