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06 March 2026 by
With judgment No. 4699 of November 26, 2025, the First Instance Tax Court of Milan ruled that, under the combined provisions of the Italy-Switzerland Double Taxation Treaty and OECD Commentary (paragraph 12.25), payments exceeding the arm's length value are not taxable as “royalty” in Italy.
24 November 2025 by
Is the Italian dividend exemption set to partially disappear? Franco Pozzi and Gloria Strappa of Studio Biscozzi Nobili and Partners discuss on proposed amendments of Italian taxation of dividend under 2026 Budget Law.
01 April 2025 by
Divisions are tax-neutral (non-recognized) transactions under Italian tax law, that do not give rise to taxable gains or deductible losses on the assets of the companies involved
31 March 2025 by
The treatment of interest-free intercompany loans under Italian transfer pricing practice evolved with conflicting interpretations