Question juridique clé
Whether the appellant's services were exempt training under Art. 14 no. 9 OTVA or taxable consulting
Solution extraite
The services were predominantly consulting/coaching, not exempt education or training.
Motifs extraits
Although the activity contained a training component, the practical on-site application on the client's workplace, tailored to individual needs and aimed at improving the company's functioning, made the consulting element prevail.