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Taxation and Customs Union

Anti-Tax Avoidance Directive

An EU Directive to counter corporate tax avoidance

Anti-Tax Avoidance

Directive

The Anti-Tax Avoidance Directive (Council Directive (EU) 2016/1164) contains legally binding anti-abuse measures which all Member States are obliged to apply to counter common forms of aggressive tax planning. 

The Directive creates a minimum level of protection against corporate tax avoidance in the EU while ensuring a fairer and more stable environment for businesses. 

The Anti-Tax Avoidance Directive contains five measures: 

  • Interest Limitation Rules discourage debt arrangements designed to minimise taxation 
  • Exit Taxation Rules prevent companies from avoiding tax when relocating assets 
  • The Controlled Foreign Company (CFC) Rule deters profit shifting to a dependent company in a low-tax country to reduce taxable profits 
  • The General Anti-Abuse Rule counters aggressive tax planning when other rules don’t apply 
  • The Hybrid Mismatch Rule prevents companies from exploiting national mismatches to avoid taxation 

All rules are in force as of 1 January 2020 except the Hybrid Mismatch Rule, which has been in force since 1 January 2022.

Legal texts

  • Council Directive (EU) 2016/1164 of 12 July 2016 laying down rules against tax avoidance practices that directly affect the functioning of the internal market