"Domestic obligations to declare foreign assets and EU freedom of capital movements", commentary on the judgment of 27 January 2022 in Case C-788/19.
"Domestic obligations to declare foreign assets and EU freedom of capital movements", commentary on the judgment of 27 January 2022 in Case C-788/19.
Impatriate scheme: critical remarks on the clarifications offered by the Revenue Agency on how to benefit from the scheme
read moreAn external ruling on the deductibility of recurring costs made in one tax year also has effects on subsequent years.
read moreThe article "Brief reflections on the possession of the income of the so-called Reoco following the answer no. 18/2019 of the Revenue Agency" published in the "Sole 24 Ore - Diritto 24"
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