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Thursday March 23rd, 2017

(Italiano) Trust e agevolazioni prima casa CTP Savona 559/16

(Italiano) La Commissione Tributaria Provinciale di Savona conferma che il trasferimento di un bene immobile in un trust non comporta la revoca delle agevolazioni per la prima casa – sentenza 559/2016…

Tuesday June 4th, 2013

Opportunity to reduce or eliminate tax burdens. Terms for the revaluation of participating interests and land are still open – deadline July 1 2013

According to law 228/2012, art. 1, comma 473 – the so-called “stability law” for 2013, until July 1 2013 is still possible even for non-resident tax entities which hold participating interests of Italian companies and/or agricultural and building land in Italy to pay a substitute tax that allows the taxpayer to reduce or eliminate the tax burden….

Tuesday February 5th, 2013

Interview on trust with Mr. Carmine Carlo in the issue of january 2013 of the financial magazine Finance Monthly Magazine

In the issue of january 2013 of the financial magazine Finance Monthly Magazine, english-language magazine on financial globalization….

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Thursday March 23rd, 2017

(Italiano) Trust e agevolazioni prima casa CTP Savona 559/16

(Italiano) La Commissione Tributaria Provinciale di Savona conferma che il trasferimento di un bene immobile in un trust non comporta la revoca delle agevolazioni per la prima casa – sentenza 559/2016…


Saturday November 1st, 2014

MPO Trustee ltd creates Napoli Supporters Trust, Naples becomes the First Football Club of A division with a Supporters Trust

With the occasion of Maradona’s 54th birthday, MPO Trustee ltd creates Napoli Supporters Trust, an organization of fans of the Naples Football Club. By following the example of Bayern Monaco and Manchester United…


Tuesday June 4th, 2013

Opportunity to reduce or eliminate tax burdens. Terms for the revaluation of participating interests and land are still open – deadline July 1 2013

According to law 228/2012, art. 1, comma 473 – the so-called “stability law” for 2013, until July 1 2013 is still possible even for non-resident tax entities which hold participating interests of Italian companies and/or agricultural and building land in Italy to pay a substitute tax that allows the taxpayer to reduce or eliminate the tax burden….


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