The three decisions discussed in this contribution concern the application article 24(2)(b) of the Germany-Italy Income and Capital Tax Treaty (1989), which provides that dividends paid by German subsidiaries to their Italian parent companies shall be excluded from the Italian tax base. In particular, the Italian Supreme Court dealt with the following issues of interpretation: (i) whether that exclusion is implicitly subject to the condition that those dividends are taxed in Germany upon distribution; and (ii) whether that provision should be regarded as abrogated due to the entry into force of the EU Parent-Subsidiary Directive (implemented by Italy through a domestic provision exempting 95% of the dividends received by resident parent com...
The Italian rules applicable to foreign dividends have been modified several times between 2015 and ...
This chapter is divided into two sections. The first section of this chapter analyses Italian cases ...
The article discusses the possibility to unbundle a cross border business payment into two component...
The contribution concern the possible application of article 10 of the Italy-Japan Income Tax Treaty...
1.General: harmonization of EU and non-EU inbound dividends tax regimes and relations with other cro...
1.General: harmonization of EU and non-EU inbound dividends tax regimes and relations with other cro...
The preliminary ruling reference (C-194/15) from the Provincial Tax Court of Turin raises the issue ...
With such decision the tax Court of Milan has pronounced itself, among other things, in favour of th...
The author discusses a Decision by the Italian Ministry of finance dealing with the application of t...
In this contribution, the authors report on an Italian Supreme Court decision that clarifies the tax...
The authors, in this article, examine the application of complete distributive rules as set out in v...
Community law accepts the fact that the power to determine the connecting factors in taxation lies w...
Il saggio trae spunto dalla recente sentenza della Corte di Giustizia dell’Unione Europea C156/17, K...
To attain an Internal Market, in which goods, capital and natural and legal persons can move from Me...
The objective of this paper is to analyze the tax regime of «inbound» dividends into the State with ...
The Italian rules applicable to foreign dividends have been modified several times between 2015 and ...
This chapter is divided into two sections. The first section of this chapter analyses Italian cases ...
The article discusses the possibility to unbundle a cross border business payment into two component...
The contribution concern the possible application of article 10 of the Italy-Japan Income Tax Treaty...
1.General: harmonization of EU and non-EU inbound dividends tax regimes and relations with other cro...
1.General: harmonization of EU and non-EU inbound dividends tax regimes and relations with other cro...
The preliminary ruling reference (C-194/15) from the Provincial Tax Court of Turin raises the issue ...
With such decision the tax Court of Milan has pronounced itself, among other things, in favour of th...
The author discusses a Decision by the Italian Ministry of finance dealing with the application of t...
In this contribution, the authors report on an Italian Supreme Court decision that clarifies the tax...
The authors, in this article, examine the application of complete distributive rules as set out in v...
Community law accepts the fact that the power to determine the connecting factors in taxation lies w...
Il saggio trae spunto dalla recente sentenza della Corte di Giustizia dell’Unione Europea C156/17, K...
To attain an Internal Market, in which goods, capital and natural and legal persons can move from Me...
The objective of this paper is to analyze the tax regime of «inbound» dividends into the State with ...
The Italian rules applicable to foreign dividends have been modified several times between 2015 and ...
This chapter is divided into two sections. The first section of this chapter analyses Italian cases ...
The article discusses the possibility to unbundle a cross border business payment into two component...