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International tax law – where Italian and international structures converge

Cross-border corporate structures, investments and asset transfers require careful tax planning. Double taxation treaties, transfer pricing, indirect taxes and international reporting obligations are often closely intertwined. We support companies, investors and entrepreneurial families in the structuring of international matters with an Italian nexus.

Tax treaty matters & permanent establishments

Permanent establishments and double taxation

Indirect taxes, direct registration, triangular and chain transactions

International Value Added Tax

Cross-border inheritance and gift taxes

Protecting assets across borders

Transfer Pricing

Transfer pricing within the group

Newsletter

Our newsletters – Useful Updates on Tax and Legal Matters

13.08.2026, Newsletter No. 35/2026

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.

12.08.2026, Newsletter No. 34/2026

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.