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ABOLITION OF THE RES NON DOM REGIME IN THE UNITED KINGDOM
CROSS-BORDER WORKERS: NEW REGULATIONS BETWEEN ITALY AND SWITZERLAND STARTING IN 2024
NEW OIC 34: STRATEGIES AND TECHNIQUES FOR AN EFFICIENT TRANSITION
SUCCESSION CUMULATION ABROGATED: HOW THE INHERITANCE TAX CHANGES
SMART WORKING AND THE RISKS OF CONFIGURING A PERMANENT ESTABLISHMENT
CRYPTO ASSET REVALUATION: FEASIBILITY TEST AND EXTENDED DEADLINE TO NOVEMBER 15, 2023
DEADLINE FOR CRYPTO ASSETS: THE REVENUE AGENCY SETS THE RULES
CROSS-BORDER REAL ESTATE CAPITAL GAINS: TAX IMPACT AND RESPONSES FROM THE REVENUE AGENCY
CRAM DOWN AND DEBT RESTRUCTURING AGREEMENTS: THE NEW PERSPECTIVES OF THE CRISIS CODE
NEW TAX REGIME FOR CRYPTO-ASSETS: OPPORTUNITIES AND CHOICES FOR TAXPAYERS
CRYPTO AMNESTY, DECLARATIONS AND MONITORING ARE REGULARISED WITH A SPECIAL REQUEST
TURNAROUND ON THE TAX DEDUCTIBILITY OF ‘BLACK-LISTED’ COSTS
EUROPEAN COUNCIL APPROVED “CORPORATE SUSTAINABILITY REPORTING DIRECTIVE” (CSRD)
NEW PATENT BOX GUIDELINES PROVIDE CLEARER OUTLINES AND CONFIRMED BENEFITS, SAYS TAX AUTHORITY CIRCULAR
THE CRYPTO AMNESTY: A WINDOW OF OPPORTUNITY
CONFIRMED THE NON-APPLICATION OF INHERITANCE AND GIFT TAX TO THE CONTRIBUTIONS OF ASSTES INTO TRUSTS | 2 PAYMENTS AND MONITORING
CONFIRMED THE NON-APPLICATION OF INHERITANCE AND GIFT TAX TO THE CONTRIBUTIONS OF ASSTES INTO TRUSTS | 1 DIRECT AND INDIRECT TAXATION
TAXES ON FOREIGN INTEREST AND PREMIUMS PAID FROM 2019 TO BE CLAIMED FOR REIMBURSEMENT
FOREIGN DIVIDENDS: FOREIGN TAX CREDIT ALSO GRANTED TO NATURAL PERSONS
TAX REPRESENTATIVE OF FOREIGN COMPANY LIABLE FOR FRAUDULENT DECLARATION
THE PERMANENT ESTABLISHMENT IN THE DIGITAL AGE: THE “NETFLIX CASE”
CRYPTOCURRENCIES: FROM 2022 THE FINANCIAL POLICE WILL CROSS-REFERENCE DATA
SMART WORKING AND PERMANENT ESTABLISHMENT: THE RISKS
TRANSFER PRICING: IT IS UP TO THE TAX AUTHORITY TO PROVE THE PRICE BELOW NORMAL VALUE
FOREIGN INVESTMENT FUNDS FINALLY EXEMPT FROM WITHHOLDING TAX IN ITALY
“CFC” AND DIVIDENDS FROM BLACKLIST COUNTRIES: THE NEEDED HARMONISATION
WEB SITES: A SIX-MONTH DEADLINE TO ADAPT COOKIES AND OTHER TRACKING SYSTEMS
CRYPTOCURRENCIES: IF PRIVATE KEY IS AVAILABLE NO TAX MONITORING
MORE AND MORE COMPANIES ARE READY TO IMPLEMENT SUSTAINABILITY STRATEGIES TO GENERATE ECONOMIC VALUE
CRYPTO CURRENCIES TO BE REPORTED IN SECTION RW OF THE INCOME TAX RETURN
E-COMMERCE: NEW VAT RULES IN ITALY FROM JULY 1ST, 2021
MAJOR NEWS FOR TELECOMMUNICATIONS, BROADCASTING AND ELECTRONIC SERVICES IN 2021
DAC 6: THE OBLIGATION TO PROVIDE INFORMATION FOR CROSS-BORDER MECHANISMS SHALL TAKE EFFECT FROM 2021
NEW RULES TO THE SPECIAL SCHEME FOR IMPATS
BREXIT, EXCEPTIONS FOR NORTHERN IRELAND
DISCRIMINATION IN THE TAXATION OF FOREIGN DIVIDENDS: AN INFRINGEMENT COMPLAINT TO THE EUROPEAN COMMISSION WILL SOON BE FORMALIZED
NEW RESIDENTS CAN EXTEND THE OPTION BENEFITS TO FAMILY MEMBERS
TRUST, CRS COMMUNICATIONS ARE MANDATORY WHEN THE REPORTING AND THE REPORTED PARTIES RESIDE IN DIFFERENT STATES
PREFERENTIAL TAXATION SCHEMES FOR NEW RESIDENTS
RELIEF FROM TAX MONITORING AND EXEMPTION OF IVAFE AND IVIE TAXES FOR NEW RESIDENTS
DEROGATION FOR NEW RESIDENTS: SUBSTITUTE TAX FOR FOREIGN INCOME
7% FLAT TAX INCENTIVE FOR NON-RESIDENT RETIREES MOVING TO ITALY
FIGHT AGAINST FINANCIAL FRAUD IN THE EU: ADMINISTRATIVE LIABILITY EXPANDED
MONEY LAUNDERING, THE SO-CALLED “SCUDO FISCALE” DOES NOT EXCLUDE THE CONVICTION
PRIVACY MANAGEMENT AT THE TIME OF COVID-19: PHASE TWO.
SELF-LAUNDERING: THE CASSATION ADJUSTS THE PULL IN SELF-LAUNDERING
MONEY SELF LAUDERING AND PREDICATE OFFENSIVE NOT EXCLUDED FROM THE JUDGE
TRUST: NEW FISCAL PROSPECTS
TAX ADVANTAGES TO ATTRACT “HUMAN CAPITAL” FROM ABROAD
INDIVIDUAL HOLDING COMPANIES WITH OPPORTUNITIES FOR FACILITATED CONTRIBUTIONS
SELF-LAUNDERING: PREDICATE OFFENCE NOT CRIMINALLY EXCLUDED