Key legal question
Whether the services performed by the PTT for SUVA constituted a VAT-relevant exchange of services.
Extracted holding
Yes. The services and the 7% remuneration were economically linked, so there was a taxable supply for consideration.
Extracted reasoning
The contract transferred specific administrative services to the PTT in return for remuneration. A contractual form was unnecessary; the decisive point was the inner economic connection between performance and counter-performance.