Nicolas Chavonnand Valades

Juriste at Racine Avocats

Articles

118 Bulletin

Georgios Yannouchos, Nicolas Chavonnand Valades The French Administrative Court of Appeal for Nantes annuls a recovery order on the grounds that rights of the defence were infringed by denying the aid beneficiary a right of reply regarding the calculation of recovery order (Vergers de Chateaubourg)

36

On 16 December 2003, the European Commission (the "Commission") requalified a disposition of the French tax code as an unlawful aid. This disposition, article 44 septies, allowed legal entities incorporated to acquire failing companies active in the industrial sector to be partially exempted (...)

Georgios Yannouchos, Nicolas Chavonnand Valades The French Administrative Court of Appeal for Versailles annuls a recollection title but confirms that the principle of effectiveness prevails over damage claims by a beneficiary of State aid (Groupe Pierre Henry)

29

On 16 December 2003, the European Commission (the "Commission") requalified a disposition of the French tax code as an unlawful aid. This disposition, article 44 septies, allowed legal entities incorporated to acquire failing companies active in the industrial sector to be partially exempted (...)

Georgios Yannouchos, Nicolas Chavonnand Valades The French Administrative Court of Appeal for Douai annuls a recovery order by the Competition Authority on the grounds that the rights of the defence were infringed and for lack of motivation (Sté Unither Industries)

22

On 16 December 2003, the European Commission (the "Commission") requalified a disposition of the French tax code as an unlawful aid. This disposition, article 44 septies, allowed legal entities incorporated to acquire failing companies active in the industrial sector to be partially exempted (...)

Georgios Yannouchos, Nicolas Chavonnand Valades The French Administrative Court of Appeal confirms that principles of legitimate expectations and legal certainty should not prevent State aid recovery (Societe Adiamix)

31

On 16 December 2003, the European Commission (the ’Commission’) requalified a disposition of the French tax code as an unlawful aid. This disposition, article 44 septies, allowed legal entities incorporated to acquire failing companies active in the industrial sector to be partially exempted (...)

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