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Assumption of a third party's debt constitutes part of the VATable consideration
V5197-26
Loan forgiveness between companies generally has no IRPF impact on shareholders
V0477-26
Non-cash property contributions with debt may trigger ITPAJD tax
V0218-26
Assumption of debt via capital reduction is not subject to ITP/AJD if there is no release of debtors
V0588-23
Contribution of real estate with assumption of debt creates two transactions subject to ITPAJD
V2327-22
Dissolution of co-ownership with excess adjudication compensated by mortgage debt liability is subject to Stamp Duty
V1358-22
Assumption of debt by a child without consideration may constitute a gift, unless it is a loan repayment
V1039-22
Assumption of debts in individual asset contributions is subject to ITP
V2875-21
Assuming a co-borrower's debt without consideration may constitute a gift
V2740-21
Non-ordinary business activity: asset assignment to settle tax debts
V1486-21
Transfer of property to settle debt may trigger passive investment in VAT
V0936-21
Dissolution of community property does not trigger capital gains if ownership shares are correctly allocated
V2751-20
Replacement of issuer with its guarantor constitutes a modifying novation
V2566-20
Reinvestment exemption for main residence allows for the write-off of debts incurred for the new home
V1157-19
Compensation received by a co-owner due to a reduction in sale price is not subject to VAT
V2935-18
Assumption of debt during company liquidation has no immediate tax impact on Personal Income Tax
V1007-17
Assumption of mortgage debts in a business branch contribution does not constitute a separate taxable event
V0697-17
Capital increases involving mortgaged property are taxed under two ITPAJD modalities depending on consideration
V2064-16
Gift of property with assumption of mortgage debt may be exempt from corporate tax
V1491-16
Company assumption of partners' debt may be subject to Gift Tax or exempt from ITP and AJD
V0935-16
The company must include the difference between the market value and the tax value of the assets transferred upon dissolution
V3011-15
Contribution of real estate with assumption of debt by the company is subject to ITP and AJD
V2438-15
The transfer of participation shares in a community of property is subject to onerous transfers of assets
V2269-15
Contribution of assets with debt may be subject to onerous transfer tax if not a restructuring
V0074-15
Acquisition value of property received in capital reduction equals the sum of assumed debt and the capital reduction amount
V1164-14
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