This article addresses the treatment of income obtained by directors, members of boards and management bodies of companies domiciled in the country. The particular source rule that our Income Tax Law contemplates for said subjects, when they act abroad in the exercise of their functions, is analyzed. In the first place, the origins of the provision and the reasons that would have been had to broaden the connection criterion are addressed. Then, its scope of application is revised, with emphasis on the subjects and incomes included, and the unwanted situations that fall within its scope of incidence. Finally, the double taxation problems that the provision generates are comment, discussing some legal formulas that could be used to mitigate t...
Se analizan las normas sobre impuestos a las rentas existentes en el país antes de la dictaci...
Article 88 of the Spanish Corporate Income Tax Act in force since January, 2015, states certain meth...
This paper aims to analyze the main issues raised in the current taxation regulation of transactions...
En este trabajo se analizan algunos aspectos fiscales ligados al desplazamiento temporal internacio...
In the current globalization state, emerges an important problem referred to tax deferral, committed...
Congress delegated the power to legislate on economic management and competitiveness to the Executiv...
This article approaches the treatment of the income derived from the international air and maritime ...
Este trabajo analiza el régimen fiscal de los trabajadores desplazados al extranjero para desempeña...
The present paper will analyze the influence that financial standards on the determination of taxabl...
The purpose of this article is to analyze in a theoretical and practical way, tax issues related to ...
We all know that in the current global context, every day there are more workers who, for work, must...
This article analyses the most controversial issues regarding the Spanish controlled foreign corpora...
The main problems in accounting for the income taxes arises from the fact that the utility for finan...
This article aims to determine the nature of the mandate without representation in the purchase of g...
Given the especial characteristics of property letting, which earnings can be considerated as capita...
Se analizan las normas sobre impuestos a las rentas existentes en el país antes de la dictaci...
Article 88 of the Spanish Corporate Income Tax Act in force since January, 2015, states certain meth...
This paper aims to analyze the main issues raised in the current taxation regulation of transactions...
En este trabajo se analizan algunos aspectos fiscales ligados al desplazamiento temporal internacio...
In the current globalization state, emerges an important problem referred to tax deferral, committed...
Congress delegated the power to legislate on economic management and competitiveness to the Executiv...
This article approaches the treatment of the income derived from the international air and maritime ...
Este trabajo analiza el régimen fiscal de los trabajadores desplazados al extranjero para desempeña...
The present paper will analyze the influence that financial standards on the determination of taxabl...
The purpose of this article is to analyze in a theoretical and practical way, tax issues related to ...
We all know that in the current global context, every day there are more workers who, for work, must...
This article analyses the most controversial issues regarding the Spanish controlled foreign corpora...
The main problems in accounting for the income taxes arises from the fact that the utility for finan...
This article aims to determine the nature of the mandate without representation in the purchase of g...
Given the especial characteristics of property letting, which earnings can be considerated as capita...
Se analizan las normas sobre impuestos a las rentas existentes en el país antes de la dictaci...
Article 88 of the Spanish Corporate Income Tax Act in force since January, 2015, states certain meth...
This paper aims to analyze the main issues raised in the current taxation regulation of transactions...