Abstract
[Autom. eng. transl.] The article discusses the principle of law expressed by the Revenue Agency in Resolution no. 63 / E of 2018, concerning the applicability of the tax neutrality regime, pursuant to art. 176 of the TUIR, to the transfer of a company carried out by a permanent organization in Italy of an EU company in favor of a company resident for tax purposes in Italy.
| Translated title of the contribution | [Autom. eng. transl.] Brief notes on the transfer of a company into a resident company by a permanent establishment of EU companies |
|---|---|
| Original language | Italian |
| Pages (from-to) | 1-5 |
| Number of pages | 5 |
| Journal | RIVISTA DI DIRITTO TRIBUTARIO |
| Volume | 2018 |
| Publication status | Published - 2018 |
Keywords
- conferimento d'azienda, stabile organizzazione
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