Partner-attended · reply within 24 business hours
Language
Corporate transactions, capital markets and strategic deals.
Independent assessment and rigorous valuation of assets and businesses.
Business reinvention, sustainability and wealth management.
Corporate governance, succession and transformation
International tax planning and cross-border structuring.
Regulatory compliance and tax reporting obligations.
Special regimes for individuals and digital assets.
Tax defense and wealth taxes
Corporate immigration, ICT transfers, investor residency, digital nomad and regularisation.
Employment relations, mobility and regulatory protection.
Protection, compliance and digital resilience
Data protection, DPO and AI regulation
Company formation, contracts, shareholder agreements and corporate operations.
Contracts, dismissals, redundancies and labour court representation.
Insolvency proceedings, fresh start, micro-enterprise procedure and dissolution.
Litigation, arbitration, mediation, IP and real estate law.
Accounting, reporting and outsourced financial management.
Entity management, governance and personnel administration.
Incorporation, incentives and business acceleration.
Risk management, continuity and recovery
New guides on the latest Spanish tax and immigration developments.
Expert analysis and market trends.
Periodic analysis and technical documents
Practical tools for informed decision-making.
Enter a reference (BOE-A-2026-...), a regulation, or a topic. 42 results.
Causality required between move to Spain and directorship for special IRPF regime
V5360-26
UK national asks if special regime applies to move to Spain as tech subsidiary manager
V2590-25
Move to Spain as foundation patron and DG allows special regime under art. 93 LIRPF
V2095-24
Causality required for special regime under article 93 LIRPF
V1622-24
Special startup regime applicable if relocation is for administrative role
V0971-24
Requirements to access the special regime of the LIRPF as an administrator
V2914-23
Requirements to access the Startup special regime as an administrator
V2913-23
Special regime of Article 93 LIRPF requires proof of causal link between relocation and appointment as administrator
V2734-23
Requirements to access the special regime of the LIRPF by becoming an administrator
V0567-23
UK resident may qualify for LIRPF special regime if move to Spain follows appointment as administrator
V0382-23
V2456-22
Australian citizen may qualify for Spain's special regime as administrator without significant shareholding
V2363-22
Special LIRPF regime applicable if move to Spain as administrator without significant participation
V2196-22
Special LIRPF regime applicable if move to Spain as administrator without link
V1720-22
Requirements to access the special tax regime under Article 93 LIRPF as an administrator
V1595-22
V1331-22
Special LIRPF regime applicable if moving to Spain as administrator without significant participation
V1313-22
Possibility of applying IRPF special regime as administrator without link
V0783-22
Requirements to apply for the special LIRPF regime as an administrator
V0587-22
Special LIRPF regime applicable if move to Spain follows appointment as administrator
V0114-22
Can you apply for the LIRPF special regime as an administrator without significant participation?
V0007-22
Requirements to apply for the special regime under Article 93 of the Spanish IRPF for administrator status
V3025-21
Possibility of applying the special tax regime under Article 93 of the LIRPF by appointment as administrator
V2983-21
Can the special LIRPF regime apply to Swedish nationals appointed as administrators without participation or linked entity?
V2810-21
UK national can apply for LIRPF special regime as administrator in Spain
V2462-21
Special regime applicable if move to Spain as administrator without linked participation
V2438-21
Special regime applicable if relocation to Spain is due to administrative role without ownership or linked entity
V1274-21
Possible to apply special regime under LIRPF if move to Spain due to appointment as administrator
V0115-21
Requirements to access the LIRPF special regime for administrator relocation
V3095-20
Special regime applicable if relocation is for administrative role without 25% ownership or link
V1840-20
Contributor may apply for LIRPF special regime if moving to Spain to act as administrator
V1778-20
Can a Swedish national apply for the special tax regime upon becoming a Spanish company administrator?
V1208-20
Requirements for applying the special tax regime for displaced administrators
V1033-20
Requirements for applying the special LIRPF regime for relocation as an administrator
V0769-20
Tratamiento fiscal de las retribuciones de administradores y de los servicios profesionales prestados por socios
V0246-20
Can a Swedish national apply for the special tax regime as a displaced administrator?
V2845-19
Requirements to apply for the special regime under Article 93 of the LIRPF as an administrator
V2807-19
Possibility of applying special regime for workers displaced upon becoming Spanish company administrator
V0276-18
El régimen especial de trabajadores desplazados es aplicable por la condición de administrador si no existe vinculación por participación
V0432-17
Causal link required between move to Spain and administrator role for special displaced worker regime
V2802-16
Remuneration of a managing partner for technical functions is deductible in Corporate Tax
V1799-16
Acceso al régimen especial de trabajadores desplazados por la condición de administrador
V0235-16
Quick message
We reply within 24 business hours. Confidential handling guaranteed.
Auto-detected from the page you are viewing.
Check the privacy box to submit
Google Meet
Direct slot with the partner. Complimentary consultation · no commitment · cancel up to 24h in advance.
Loading availability…
We're fully booked for the next 14 days.
That's a good sign — and we won't leave you hanging.
No cost · no commitment · cancel up to 24h in advance
Reschedule · Cancel
Request callback
Tell us a time window and a phone number. A partner will call you back during the chosen slot.
< 24 h reply · direct with partner
Have a specific question? Tell us your situation in a sentence or two — a partner will reply within 24 business hours.
Complimentary 30-minute meeting with the partner responsible for your area. Google Meet or in person. Cancel up to 24h in advance.
Tell us your preferred time slot and a phone number. A partner will call you back — no hold queues, no gatekeepers.
A partner calls directly · Same day if requested
We use our own and third-party cookies to improve your experience. More information
Essential for the website to function. Cannot be disabled.
Help us understand how you use the site to improve it.
Enable relevant content and advertising.