The objective of this paper is to analyze the tax regime of «inbound» dividends into the State with the aim of identifying the main elements characterizing the current legislation. This examination is of fundamental importance not only to outline the boundaries of the application’s scope of current legislation with specific regard to foreign-source dividends from Countries with privileged taxation regime, but also for the purposes of the subsequent analysis of the «indirect» tax credit institution. In addition to taking into account the practice documents of the Italian Tax Authority, part of the paper is reserved for the discussion of recent European jurisprudence on dividends deriving from third States and its impact on the Italian legal ...
L’articolo analizza la tassazione indiretta dell’istituto del trust, in particolare nell’imposta sul...
To attain an Internal Market, in which goods, capital and natural and legal persons can move from Me...
It is a detailed and comprehensive study on the taxation of cross-border dividend distributions. It...
The objective of this paper is to analyze the tax regime of «inbound» dividends into the State with ...
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 Italian rules applicable to foreign dividends have been modified several times between 2015 and ...
The preliminary ruling reference (C-194/15) from the Provincial Tax Court of Turin raises the issue ...
This contribution examines the new tax treatment of dividends paid by subsidiaries resident in non-E...
The three decisions discussed in this contribution concern the application article 24(2)(b) of the G...
This paper focuses on the foreign tax credit quantitative limitations under the Italian double taxat...
La voce ha ad oggetto il sistema cd. “participation exemption” che adotta il metodo dell’esenzione (...
Double taxation conventions concluded by Italy with France and United Kingdom include special rules ...
Il saggio trae spunto dalla recente sentenza della Corte di Giustizia dell’Unione Europea C156/17, K...
Source of the problem: a different level of details in the domestic and treaty rules on foreign tax ...
L’articolo analizza la tassazione indiretta dell’istituto del trust, in particolare nell’imposta sul...
To attain an Internal Market, in which goods, capital and natural and legal persons can move from Me...
It is a detailed and comprehensive study on the taxation of cross-border dividend distributions. It...
The objective of this paper is to analyze the tax regime of «inbound» dividends into the State with ...
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 Italian rules applicable to foreign dividends have been modified several times between 2015 and ...
The preliminary ruling reference (C-194/15) from the Provincial Tax Court of Turin raises the issue ...
This contribution examines the new tax treatment of dividends paid by subsidiaries resident in non-E...
The three decisions discussed in this contribution concern the application article 24(2)(b) of the G...
This paper focuses on the foreign tax credit quantitative limitations under the Italian double taxat...
La voce ha ad oggetto il sistema cd. “participation exemption” che adotta il metodo dell’esenzione (...
Double taxation conventions concluded by Italy with France and United Kingdom include special rules ...
Il saggio trae spunto dalla recente sentenza della Corte di Giustizia dell’Unione Europea C156/17, K...
Source of the problem: a different level of details in the domestic and treaty rules on foreign tax ...
L’articolo analizza la tassazione indiretta dell’istituto del trust, in particolare nell’imposta sul...
To attain an Internal Market, in which goods, capital and natural and legal persons can move from Me...
It is a detailed and comprehensive study on the taxation of cross-border dividend distributions. It...