Robust Structures for international investment in Italy
Entering the Italian market requires careful tax planning and an investment structure aligned with the relevant strategic objectives. We support international corporate groups and investors in designing and implementing efficient, compliant, and sustainable solutions, establishing a solid foundation for a successful and well-informed market entry.
Structuring International Operations with Confidence
Double tax treaties and permanent establishment matters can give rise to significant tax implications. A thorough analysis provides clarity and supports well-informed, appropriately structured decisions. Our advice takes into account both domestic legislation and the applicable international tax framework.
In addition to supporting VAT registrations in Italy, we can also act as fiscal representative upon request. We further advise on the design of international holding and financing structures, developing tax-efficient and legally compliant solutions that align commercial objectives with applicable regulatory requirements.
We’d be happy to offer you personalised, expert advice
Our newsletters – Useful Updates on Tax and Legal Matters
Corrective decree to the tax reform of 7 August 2026 – other changes
Legislative Decree No. 148 of 7 August 2026 introduces numerous further corrections to the tax reform – from income from employment to business and financial income, from VAT to tax assessment and the two-year advance agreement.
Corrective decree of 7 August 2026 and its effects on the mixed use of company cars
The corrective decree of 7 August 2026 (Legislative Decree No. 148/2026) standardises the calculation of the benefit in kind for the mixed use of company cars with retroactive effect from 1 January 2026 and at the same time introduces two new surcharges on the benefit-in-kind value.