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Latest FL Journal Articles

10
Dec
2024

LFP obtains a New Block on Websites and IPTV services Illegally Broadcasting Ligue 1 and Ligue 2 Fixtures

Judicial Court of Paris, Interim Order, 26 July 2024, no. 24/55168
Football Legal
Broadcasting Rights & Sponsorship
Cases
France
Football Legal # 21
LFP obtains a New Block on Websites and IPTV services Illegally Broadcasting Ligue 1 and Ligue 2 Fixtures
As the holder of exclusive audiovisual exploitation rights for the Ligue 1 and Ligue 2 championships, the French Professional Football League (LFP) had noted that numerous websites and IPTV services had illegally broadcast certain matches from the end of the 2023-2024 championships. Noting the existence of serious and repeated infringements of t...
10
Dec
2024

Latest Leading Cases of the DFB Sportgericht

Joachim RAIN
Disciplinary disputes
Article
Germany
Football Legal # 21
Latest Leading Cases of the DFB Sportgericht
The Case of Atakan Karazor (VfB Stuttgart) 1. On 28 September 2024, the Bundesliga match between VfL Wolfsburg and VfB Stuttgart took place. In the 63rd minute, the player Atakan Karazor (Karazor), who had already been warned before, was sent off after a second yellow card for an alleged foul against his opponent. When analyzing the video foo...
10
Dec
2024

Greek Civil Court Rejects Agent’s Remuneration for Non-Compliance with Legal Requirements

Second Instance Civil Court of Athens, 5 January 2023, no. 2/2023
Aspa SOULOUKOU
Football Agents
Cases
Greece
Football Legal # 21
Greek Civil Court Rejects Agent’s Remuneration for Non-Compliance with Legal Requirements
A foreign FIFA agent and Greek football club Olympiacos FC signed a private agreement dated 1 July 2014 for the agent’s services provided to Olympiacos FC regarding the signing of the employment contract of football player Omar Elabdellaoui. Olympiacos FC paid the first installments of the agreement but suddenly ceased to fulfill its financial...
10
Dec
2024

Greek Supreme Court Orders Former AEL FC President to Compensate Ex-Player

Greek Supreme Court, 12 June 2023, no. 887/2023
Aspa SOULOUKOU
Player/Coach Contract
Cases
Greece
Football Legal # 21
Greek Supreme Court Orders Former AEL FC President to Compensate Ex-Player
A foreign football player (Walter Matías Iglesias) and Greek football club AEL FC signed a professional player’s contract from 12 July 2008 until 30 June 2012. In 2016, the football player lodged a claim before the Civil Court against the former President and CEO of AEL FC, Kostantinos Piladakis, requesting the payment of the total amount of EU...
10
Dec
2024

Issues In and Around Icelandic Football

Agustín AMOROS MARTÍNEZ
Árni Freyr SVERRISSON
Governance
Article
Iceland
Football Legal # 21
Issues In and Around Icelandic Football
Iceland is a small country with a population of just under 390,000 people.[1] The Icelandic Football Association (KSÍ) was founded in 1947 and was one of UEFA’s founding members.[2] Over the years, Icelandic football has grown and produced many talented players, both men and women, who continue to do so. Iceland has also made some great managers...
10
Dec
2024

The Nigeria Football Federation Players Status and Arbitration Committee Reactivates to Deal with Club/Player Contracting and Payment Disputes

Peter PALEOLOGOS
Player/Coach Contract
Article
Nigeria
Football Legal # 21
The Nigeria Football Federation Players Status and Arbitration Committee Reactivates to Deal with Club/Player Contracting and Payment Disputes
Interview with Eddie ISERI OGBEMUDIA, FIFA Licensed Football Agent, Myron Topclass Sports Outfit Warri – Nigeria By Peter PALEOLOGOS Player Agent & Lawyer, LIBERO Consulting Melbourne – Australia
10
Dec
2024

Democratizing Football: Norway’s Unique Ownership Model

Juan de Dios CRESPO PEREZ
Vinusan S. MARKANDU
Governance
Article
Norway
Football Legal # 21
Democratizing Football: Norway’s Unique Ownership Model
Introduction As football clubs all over Europe become more commercialized, ownership models for clubs have become a hotly debated topic. Many traditional clubs have fallen into the hands of wealthy investors, which essentially leaves fans feeling disfranchised as their clubs’ distance themselves from their roots. The dominance of private owner...
10
Dec
2024

FUR Dispute Resolution Regulations Modified in Accordance with FIFA Requirements

Eugene KRECHETOV
Disciplinary disputes
Article
Russian Federation
Football Legal # 21
FUR Dispute Resolution Regulations Modified in Accordance with FIFA Requirements
In compliance with the National Dispute Resolution Chamber Recognition Principles published by FIFA in February 2024, on 28 May 2024, the Executive Committee Bureau of the Football Union of Russia (FUR) approved amendments to the FUR Dispute Resolution Regulations. The most significant changes are outlined below. Access to Justice Under the p...
10
Dec
2024

The New Royal Decree 444/2024 Regulating Influencers in Spain

José María MICHAVILA VÁZQUEZ
Ignacio TRIGUERO GEA
Broadcasting Rights & Sponsorship
Article
Spain
Football Legal # 21
The New Royal Decree 444/2024 Regulating Influencers in Spain
The recent Royal Decree 444/2024 (RD) issued in Spain outlines the requirements for classifying users as “Users of Special Relevance” (UERs) under certain specific conditions that we will analyze in this article. Therefore, this new RD 444/2024 focuses on the commonly known influencers, YouTubers, vloggers, content creators as well as athletes p...
10
Dec
2024

Digital Age Broadcasting: Precedent on Short Reporting Rights in Switzerland

Swiss Federal Administrative Tribunal, nos. A-615/2023 and A-660/2023, 10 July 2024
Remo WAGNER
Benoit PASQUIER
Broadcasting Rights & Sponsorship
Cases
Switzerland
Football Legal # 21
Digital Age Broadcasting: Precedent on Short Reporting Rights in Switzerland
In the landmark decision Sunrise v SRG SSR concerning the rights to short reporting on public events, the Swiss Federal Administrative Tribunal (SFAT) has delivered a nuanced verdict. This case is important in understanding the evolving landscape of media rights, particularly in the context of digital transformation and the growing importance of...
10
Dec
2024

Updates to Anti-Trust Cases Against U.S. Soccer

Matthew D. KAISER
Sarah MOCCELIN
Governance
Article
United States of America
Football Legal # 21
Updates to Anti-Trust Cases Against U.S. Soccer
For almost an entire decade, U.S. Soccer has been fervently battling two anti-trust lawsuits that will, if it loses, significantly impact the structure and operation of soccer not only in the United States but also potentially abroad - one filed by the North American Soccer League (NASL) in the Eastern District of New York[1] and another filed b...
10
Dec
2024

Football Taxation - Clubs' Perspective: Are There any Tax Rebates or Tax Cuts Available Exclusively for the Professional Football Clubs?

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina There is an old regulation (Law 16.774) that exempts sports clubs, such as Club Atlético Boca Juniors, that carry out construction, renovation or expansion of stadiums or sports facilities from all taxes and fees. This implies the exemption from taxes also exists for contractors, service providers, landlords and suppliers of material...
10
Dec
2024

Football Taxation - Clubs' Perspective: Taxation Principles of the Transfer Indemnity (Corporate Income Tax)

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina The costs for the transfer of a football player are around 25% in Argentina. These costs are composed of the following items: a) 15% due to the professional player statute; b) 2% due for the Argentine Football Association (AFA) for transfer rights; c) 0.5% due for ‘Futbolistas Argentinos Agremiados’ (FAA) for transfer rights; d) 7...
10
Dec
2024

Football Taxation - Clubs' Perspective: What is the Taxation of Non-Fungible Tokens (NFTs) and any Crypto Assets Owned or Developed by a Club?

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina Football clubs that are exempt from Income Tax do not have to pay taxes on the profits obtained, including those derived from the sale of crypto assets or NFTs. Regarding VAT, transactions involving crypto assets and NFTs are generally not subject to VAT in Argentina. Therefore, even if a football club buys or sells crypto assets or N...
10
Dec
2024

Football Taxation - Clubs' Perspective: Taxation of the FIFA Training and Solidarity Indemnities Received by the Club (CIT and VAT)

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina The FIFA training and solidarity indemnities received by Argentine clubs will not be subject to either income tax or VAT.     Belgium Training compensation and solidarity indemnities received by the club are subject to Corporate Income Tax. Training compensation and solidarity indemnities for U23 players are excluded from the sc...
10
Dec
2024

Editorial of Football Legal # 21 (2024/2) - By Ronan DAVID

Ronan DAVID
Governance
Article
International
Football Legal # 21
Welcome to the 21st edition of Football Legal, where we continue to explore the critical intersections of law and football. This edition captures the dynamic and evolving legal challenges shaping the sport today, offering a deep dive into key cases, regulatory shifts, and industry trends. A highlight of this issue is our Focus on the landmark D...
10
Dec
2024

Special Report FL21 - Introductory Remarks by Jacques MESSECA

Jacques MESSECA
Financial control
Article
International
Football Legal # 21
Taxation is a cornerstone of the football industry, shaping every aspect of its financial and contractual framework - from club revenues and expenses, player salaries and image rights to transfer fees and agent commissions. Despite its significance, tax issues are often misunderstood or overlooked. This Special Report was conceived to address th...
09
Dec
2024

Football Taxation - Clubs' Perspective: What are the Other Main Taxes Applicable to Football Clubs besides CIT and VAT?

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI Hanna BROZZO Daniel BADER
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina Tax on Bank Debits and Credits Regarding the Tax on Bank Debits and Credits (Law 25.413 and amendments), sports associations enjoy reduced rates of 0,25% and 0,5% for credits and debits subject to the tax. These rates occur when the entities concurrently have operations exempt from, or not subject to, VAT for all operations they cond...
09
Dec
2024

Football Taxation - Clubs' Perspective: Is the Transfer Indemnity Subject to VAT?

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina The transfer indemnity is not subject to VAT.     Belgium The agreement concluded between clubs, whereby the rights to a player are permanently transferred, in principle constitutes a service subject to Belgian VAT when it concerns: a transaction between two Belgian clubs - VAT is due by the selling club and deductible in the...
09
Dec
2024

Football Taxation - Clubs' Perspective: Are Agent Commissions Tax-Deductible Expenses for the Club?

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI Hanna BROZZO Daniel BADER
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina Since the football club is exempt from income tax, there are no deductions related to this tax.     Belgium A distinction must be made between agent fees that are paid to the club agents on the one hand and player’s agents on the other hand. Agent fees paid by the club to the player’s agent, on behalf of the player, are consider...
09
Dec
2024

Football Taxation - Clubs' Perspective: Is There any Withholding Tax Applicable on the Agent Commission Paid Abroad by the Club or the Player?

Jacques MESSECA
Daan BUYLAERT Philipp DIFFRING Can DOĞRUSÖZ Diego N. FRAGA Pete HACKLETON Carlo LORUSSO Paulo LOURENÇO Lorenzo MAZZOCCONI Alexander SAFT Francisco SALINAS Giorgio VASELLI
Financial control
Article
Belgium France Germany Italy Portugal Spain United Kingdom of Great Britain and Northern Ireland Argentina Brazil Türkiye
Football Legal # 21
Argentina When a payment is made to a foreign beneficiary (in this case, an agent), the first thing to analyze is if the agent’s income derives from an Argentine source or not. If it is from a foreign source (i.e. services provided abroad that do not involve any technical or intellectual consulting), no Income Tax withholding should be applied....
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