20. Juni 2018 ECJ – Refusal to set-off EU-branch losses in Denmark not com ... A Danish company may set off the final losses of its foreign EU-permanent establishment against its own taxable income, provided it can prove that the losses incurred are final and the company has exhausted the possibilities to deduct those losses in that Member State. Kategorien: From EuropeSchlagwörter: Final PE losses, international joint tax ...