The present paper ends up with the discussion concerning Corporate Income Tax amendments occurred in 2013. In it, the rules concerning the impairment of equity instruments and dividend double economic taxation avoidance are analyzed. As the patient reader will note, it is a subject which resembles to a meccano structure, where all parts must fit together. These carefully drafted regulations will have a short life, insofar the Corporate Income Tax Bill, which will be enacted in the next months, has provided a new approach for dividend and capital gains double economic taxation avoidance.Con la presente colaboración se pone fin a los comentarios concernientes a las normas del Impuesto sobre Sociedades aparecidas en 2013. En la misma se coment...
As notes in the first part of this article, the objetive is analyze from a tax standpoint major inno...
Due to the proximity of the statement period of the Corporate Income Tax usually from 1st to 25th Ju...
Real Decreto-Ley 12/2012, de 30 de marzo, has introduced two tax measures that have qualified in bot...
The article analyses corporate income tax amendments set forth by Royal Decree-Law 3/2016, of 3 Dece...
Article 88 of the Spanish Corporate Income Tax Act in force since January, 2015, states certain meth...
Corporate Income Tax Law (Law 27/2014 of 27 November) has undergone, due to collection needs, two ma...
The purpose of this paper is to analyze through a practical case the details and details of the new ...
El presente documento expone un Entendimiento general de la Organización para la Cooperación y el De...
The present collaboration analyses the particular cases whereby capital gains arising from the sale ...
The recently enacted Law 27/2014, of November 27th, of Corporate Income Tax, has already suffered so...
In the first part of the present paper, we examined the revenues eligible for the exemption method, ...
We continue with the analysis of the resolution of February 9, 2016, the Institute of Accounting and...
After the amendments introduced to corporate income tax by way of Law 27/2014 as well as the severe ...
Although a year has passed without Corporate Income Tax shall be recorded changes in scope, if have ...
Is analyzed from a tax standpoint major innovations introduced by Law 27/2014 of 27 November, Corpor...
As notes in the first part of this article, the objetive is analyze from a tax standpoint major inno...
Due to the proximity of the statement period of the Corporate Income Tax usually from 1st to 25th Ju...
Real Decreto-Ley 12/2012, de 30 de marzo, has introduced two tax measures that have qualified in bot...
The article analyses corporate income tax amendments set forth by Royal Decree-Law 3/2016, of 3 Dece...
Article 88 of the Spanish Corporate Income Tax Act in force since January, 2015, states certain meth...
Corporate Income Tax Law (Law 27/2014 of 27 November) has undergone, due to collection needs, two ma...
The purpose of this paper is to analyze through a practical case the details and details of the new ...
El presente documento expone un Entendimiento general de la Organización para la Cooperación y el De...
The present collaboration analyses the particular cases whereby capital gains arising from the sale ...
The recently enacted Law 27/2014, of November 27th, of Corporate Income Tax, has already suffered so...
In the first part of the present paper, we examined the revenues eligible for the exemption method, ...
We continue with the analysis of the resolution of February 9, 2016, the Institute of Accounting and...
After the amendments introduced to corporate income tax by way of Law 27/2014 as well as the severe ...
Although a year has passed without Corporate Income Tax shall be recorded changes in scope, if have ...
Is analyzed from a tax standpoint major innovations introduced by Law 27/2014 of 27 November, Corpor...
As notes in the first part of this article, the objetive is analyze from a tax standpoint major inno...
Due to the proximity of the statement period of the Corporate Income Tax usually from 1st to 25th Ju...
Real Decreto-Ley 12/2012, de 30 de marzo, has introduced two tax measures that have qualified in bot...