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Country-specific updates: Italy

Tax credit also extended to foreign source dividends

Italian Revenue Agency Expressed Itself Once Again On The Arm s Length Principle

Italian Revenue Agency Expressed Itself Once Again On The "Arm's Length Principle" . Legal News and Analysis - Europe - Dispute Resolution, Tax -

Spotlight: tax residence and fiscal domicile in Italy

Central Revenue rules on the business contribution of a PE in Italy

The case has corporate income tax, VAT and registration tax implications The contribution of the entire business of an EU company’s Italian permanent establishment (PE) to another EU company’s Italian PE is tax neutral under section 176 of Italian Tax Code (TUIR). This is the conclusion reached by the Central Revenue, as an answer to the request for advance ruling No. 633 as of December 31 2020. Circumstances of the case The case concerned an EU company (hereinafter ALFA) which intended to transfer its PE in Italy (hereinafter ALFA Italy PE) to the BETA company resident in another country of the EU, against of

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