Abstract
The article comments on the new provisions
introduced in Italy with regard to the tax
residence of collective investment vehicles and
on the positions taken by the Italian Revenue
Agency in that regard, as well as with regard
to the corporate tax exposure for European
investment fund managers constituting
collective investment vehicles under Italian law
Lingua originale | English |
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pagine (da-a) | 266-272 |
Numero di pagine | 7 |
Rivista | DERIVATIVES & FINANCIAL INSTRUMENTS |
Stato di pubblicazione | Pubblicato - 2014 |
Keywords
- Freedom to provide services
- Investment funds
- Permanent establishemnt
- Tax residence