Brussels, 06/05/2011 (Agence Europe) - With its judgement of Thursday 5 May in Case C-384/09, the Court of Justice recognises the possibility for a member state (in this case France) to apply, at national level, a differentiated tax treatment to corporate “immovable property” investment, depending on whether the companies have their head office in the EU or in third countries (in this case the British Virgin Islands), and given that the regulation establishing this treatment (restriction...