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The New Consolidated Corporate Income Tax Form for 2009 Addresses Interest Deduction Limitations in Consolidated Groups

By Marco Rossi on January 29, 2009
Posted in Italian Taxation of Companies and Businesses

New corporate tax form for 2009 implements new provisions on deduction of interest expenses within the tax consolidated group…
Continue Reading The New Consolidated Corporate Income Tax Form for 2009 Addresses Interest Deduction Limitations in Consolidated Groups

EU Outbound Merger Not Eligible For Tax-Free Treatment if No Permanent Establishment in Italy After the Merger

By Marco Rossi on January 28, 2009
Posted in European Union Tax Law, Italian Taxation of Companies and Businesses

Italian tax administration rules that EU merger does qualify for tax free treatment under the EU merger directive if no permanent establishment in Italy exists after the merger…
Continue Reading EU Outbound Merger Not Eligible For Tax-Free Treatment if No Permanent Establishment in Italy After the Merger

My name is MARCO ROSSI and I am an international lawyer specialized in EU and Italian international tax law for foreign individuals and companies investing or doing business in Italy and the EU. I am based in New York and…

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International tax lawyer & attorney Marco Rossi of Marco Q. Rossi Law Firm, offering services related to European Union tax law, tax planning, international business transactions, foreign investments, gains, dividends, royalties, VAT, treaties, corporate & individual taxation, permanent establishment and tax exemptions.
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