Brussels, 22/03/2002 (Agence Europe) - On Friday, the Commission decided to refer France to the Court of Justice for its refusal to apply the reduced rate of withholding tax on income derived from investments and contracts where the debtor is not resident or established in France, whereas this facility is available in respect of debtors in France. The Commission has also decided to formally request Spain to alter its legislation on the different tax arrangements for capital gains from shares...