This judgment concerns the interpretation of Article 34 of Directive 2011/95/EU regarding access to integration facilities for beneficiaries of international protection in EU Member States.The Court analyzed whether Netherlands legislation requiring refugees to pass civic integration exams and bear related costs complies with EU law. The key provisions examined were the obligation to pass integration exams under threat of fines and the requirement for beneficiaries to cover program costs through loans.The Court ruled that while Member States can require integration exams, they must:
- Consider refugees’ specific needs and integration challenges
- Set appropriate knowledge requirements
- Exempt those who demonstrate effective integration
- Not impose systematic or unreasonable fines for exam failure
- Not require beneficiaries to bear full costs of integration courses and exams
The Court found that the Netherlands’ system of mandatory full cost coverage by beneficiaries, even through loans, was incompatible with EU law as it placed unreasonable burdens on refugees and hindered their integration. The judgment establishes important principles for how Member States must structure integration requirements for international protection beneficiaries.