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Summary Transnational Labor Law

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A summary of the course 'Transnational Labor Law'.

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September 26, 2019
Number of pages
37
Written in
2018/2019
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Transnational Labour Law
Lecture 1 – Introduction to Reg. 883/2004
Social security and EU-mobility:
- The coordination of social security in EU in cross border situations
- The Regulations 883/2004 & 987/2009

Labour law and EU-mobility:
- The applicable labour law in EU in cross border situations
- Rome 1 Regulation & Posting Workers Directive

Social policy issues
- Regime competition and social dumping

Coordination of European Social Security
- Regulation 883/2004 & 987/2009
- Every MS has his own system of social
security  no harmonisation on national
- European social security is on top of the
national level when different EU countries
are involved  cross-border situations




Difference between coordination and harmonisation
- Coordination keeps the national law unchanged  regulation
- Harmonisation wanted to have a shared level (for example: minimum wage)
- There is no definition in regulation, in TFEU, by CJEU
- Territoriality principle of social security
o Every country has the authority to make social security law, this law is in line with the
territory of the country
o Dutch law is only for the Dutch people
o It is very logical to start with; however, it is a hinder for free movement because
Dutch law is only for Dutch people
- Negative conflicts of law – positive conflicts of law
o State pension between Belgium and the Netherlands

Belgium Netherlands
Working in Belgium Living in NL

1. Anna is working in Belgium and living in the Netherlands, so she gets a
combined pension  positive conflict
2. Peter is living in Belgium and working in the Netherlands, so he gets no pension
at all  negative conflict

o To avoid these situations, we needed more legislation and coordination

, - National and international rules of conflict
- Other forms of coordination: bilateral (between two EU countries), multilateral (between
one EU country and one non-EU country), tax treaties

Legal foundation
1. Art. 48 TFEU
The EP & Council shall, acting in accordance with the ordinary legislative procedure, adopt
such measures in the field of social security as are necessary to provide freedom of
movement for workers; to this end, they shall decide to secure for employed and self-
employed migrant workers and their dependants
2. Art. 45 TFEU
Freedom of movement of workers / no discrimination on nationality

Concept
Unclearness of a term or concept in relation to the regulation?
- CJEU: preliminary rulings (Art. 267 TFEU)
- Legal force of the rulings of the CJEU
- However, free movement of worker should be guaranteed

Main principles/techniques of coordination:
- Non-discrimination/equal treatment: equal treatment (Art. 45 TFEU)
- Payments of benefits abroad/export of benefits
- Aggregation of periods
- Determination of applicable legislation
- Pro rata temporis (ratio worktime)
- Pension unique: you get a pension from every country where you have worked
- Anti-cumulation of benefits: you don’t get the same kind of benefits from different countries
at the same time
- Cross border care




- One is the basis regulation (BR), one is the implication (IR)
- In 2004 the regulation 883 was made, however ten countries joined the EU, therefore it was
hard to make the implication regulation
- The idea of these regulations was to make it shorter and easier to understand, however they
forget some rules and therefore there was a new regulation in 2012

,Regulations 883/2004 & 987/2009  Conditions for Applicability
- At least 2 Member States involved  cross border element
- Territorial scope (Art. 91)  28 EU MS + Liechtenstein, Island, Norwegian and
Switzerland
- Personal scope (Art. 2)
- Material scope (Art. 3)  is it about social security benefits?

Structure of regulation
1. Considerations
- Free movement/coordination/state of
employment principle/equal treatment
2. General provisions
- Art. 1- Art. 10
3. Determination of legislation applicable
- Paying contributions: in which country?
- Paying benefits: which country?
- Art. 11 – Art. 16
4. Chapters on the specific benefits
- Art. 17- Art. 70
5. Rest
- Art. 71-91

Personal scope – Art. 2 of Reg. 883/2004
- Paragraph 1 and 2
o All nationals and their families
o Stateless/Refugees living in MS
o Survivors
- In the beginning, it was only applicable for workers
- Members of the family?
o Who exactly?  coordination of different EU MS
- So: all insured persons (coverage by one social security scheme of a MS is sufficient)

Extension of Art. 2 by Reg. 1231/2010
- Nationals of third countries (non-EU citizen)
- Reason for this new regulation?  no legal basis in Art. 48 TFEU
- UK and Denmark opted out
- Example:
o Canadian living in Switzerland and working in Austria
o Moroccan living in Spain and working in France

Material scope – Art. 3 of Reg. 883/2004
- Limitative list (but extension by CJEU)
- How to determine the specific benefit?
o Constituent elements: purpose and conditions for acquiring, not name or way of
financing
o Hoeckx, Molenaar and Kuusijarvi case
- Only statutory schemes and legislation (Art. 3 & Art. 1)
- Contributory or non-contributory
- Including obligations of employers in these schemes
o Paletta
- Excluding public or medical assistance and schemes for victims of war

, - How to quality a benefit? Not the name/source of levy but constituent elements of the
benefit – its purposes/aim and conditions

- Not: public assistance (Art. 3,5 BR)
o Reason: financial burden on state/s budget
o No export
o Acciardi case (1993)  narrow definition of social assistance
- Yes: special non-contributory benefits (Art. 3 + Art. 70)
o Export ban possible but not compulsory
o Residence clause is possible
o Annex X

Territorial scope – Reg. 883.2004
- All EU Member States (28)
- Liechtenstein, Iceland, Norway
- Switzerland
- What about Brexit?

Applicability of the regulation
1. Facts are not restricted to one-member state (cross border element so working and living in
another MS)
2. Territorial scope
3. Personal scope
4. Material scope
 Regulation is applicable if all four elements are checked! 

Lecture 2 – Rules on determining the legislation
applicable
Is Reg. 883/2004 applicable?
- Syrian refugee works in a restaurant in Tilburg and lives in Belgium. Is he covered for the
statutory risks like pension and health care?
o Netherlands and Belgium
o Both MS
o Refugees (Article 2.1)
o Healthcare (Article 3.1a)  Yes!
- Polish plumber works in Belgium and NL. Is he covered by the statutory risks of art. 3 of BR?
o Belgium and NL
o Both MS
o National of a MS (Article 2.1)  Yes!
- American lives in London and works in Brussels.
o UK and Belgium
o Both MS
o Extension of the personal scope to third-nationals by Reg. 1231/2010. However the
UK opted out  No!
- Greek interpreter moves to Paris for work and living.
o No cross border element
- Russian man works in Copenhagen and lives in Malmo.
o DK and Sweden
o Both MS

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