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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 131 results.
Dividend exemption requires compliance with LIS art. 21.1 and profits post-acquisition
V5253-26
SA and SB could form a fiscal group if article 58 of the LIS requirements are met
V5195-26
Contribution of rural property shares from a community of property may qualify for fiscal neutrality
V0770-26
Contribution of community property shares to a society may qualify for fiscal neutrality under certain conditions
V0357-26
Capital gains from transferring shares in a Portuguese collective investment society may be exempt from corporate tax
V0308-26
Non-cash machinery contribution may qualify for fiscal neutrality regime
V2026-25
The contribution of shares from one entity to another may qualify for the special tax neutrality regime
V0919-24
The special tax neutrality regime may be applied to contributions of shares if the minimum participation requirements are met
V0873-24
Value exchange and non-cash contributions may apply if legal requirements are met
V0583-24
Possibility of applying fiscal neutrality to social share contributions to a new entity
V0529-24
Fiscal neutrality applicable to share swaps and non-cash contributions if legal requirements met
V0484-24
Fiscal neutrality regime applicable to share contributions under specific conditions
V0431-24
Non-cash contributions to holding companies: fiscal neutrality, patrimonial status and dividend exemptions
V0429-24
Requirements for claiming the special non-monetary contribution regime
V0286-24
Possibility of applying special non-monetary contribution regime under participation and ownership requirements
V0287-24
Property contribution to a new company may qualify for tax neutrality
V0245-24
Possibility of applying fiscal neutrality regime to non-cash contributions and dividend exemption
V0086-24
Value exchange and non-cash contribution may qualify under LIS special regime
V3360-23
Fiscal neutrality applicable to non-monetary share contributions to a new entity
V3138-23
Fiscal neutrality possible for share transfers to holding company
V3120-23
Requirements for applying the fiscal neutrality regime to non-monetary share contributions
V2818-23
Shareholding contributions to a holding company may qualify for fiscal neutrality under certain conditions
V2756-23
Possibility of applying fiscal neutrality to share contributions to a holding company
V2755-23
Fiscal neutrality possible for share contributions to holding company under specific conditions
V2753-23
V2754-23
Requirements for claiming fiscal neutrality in social share contributions
V2699-23
Fiscal neutrality regime applicable to social share contributions if conditions met
V2576-23
Fiscal neutrality applicable in share swaps and non-cash contributions if specific conditions met
V2575-23
Possibility of applying the tax neutrality regime in contributions of shares subject to compliance with legal requirements
V2432-23
Requirements for the application of the tax neutrality regime in non-monetary contributions and exchange of securities
V2429-23
Requirements for the application of the special regime for contributions of shares and exchange of securities
V2430-23
V2360-23
Possibility of applying fiscal neutrality regime to non-monetary share contributions
V2361-23
Share contributions may qualify for fiscal neutrality under certain conditions
V2343-23
Fiscal neutrality regime applicable to non-cash share contributions if conditions met
V2342-23
Possibility of applying fiscal neutrality to non-monetary share contributions
V2339-23
Fiscal neutrality regime for non-cash contributions requires minimum 5% shareholding
V2080-23
Non-cash contributions to shareholdings may qualify for fiscal neutrality
V2079-23
Non-cash contribution of a surface right may qualify for fiscal neutrality
V1901-23
Non-cash contributions may qualify under special regime if conditions met
V1521-23
Non-cash contributions may be eligible under LIS special regime
V1389-23
Requirements for non-monetary contributions under the LIS special regime in IRPF
V1331-23
Special share exchange and non-cash contributions regime applicable if conditions met
V1333-23
Non-cash contributions may qualify under special LIS regime
V0756-23
Requirements for claiming the special non-cash contribution regime (Art. 87 LIS)
V2625-22
Requirements for entering special regime for non-cash property contributions to a company
V2155-22
Exemption possible for share transfer if conditions met
V1867-22
Exemption possible in transfer of shares under participation and residency requirements
V2568-21
Asset contribution may qualify under special regime if residency, 5% shareholding and valid economic reasons are met
V1776-21
Contribution of a share in a community of goods may qualify for LIS special regime under certain conditions
V1305-21
Contributions of shares may be classified as non-monetary special contributions or as share exchanges depending on their nature
V3682-20
Asset contribution regime may apply if LIS requirements and valid economic reasons are met
V3598-20
Value exchange and non-cash contributions possible under LIS special regime
V3040-20
It is possible to apply corporate reorganisation rules to physical persons' share contributions under certain conditions
V3033-20
Non-monetary contributions may qualify under LIS special regime
V2900-20
Application of the special non-cash contribution regime depends on compliance with allocation and accounting requirements
V2513-20
Non-monetary contributions may be subject to special regime if commercial accounting is maintained
V2517-20
Asset contributions may qualify for LIS special regime if legal and economic conditions are met
V2359-20
Application of the special regime for asset contributions requires minimum participation and valid economic motives
V2306-20
Minimum 5% share in own funds required for non-cash contributions
V2294-20
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