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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 196 results.
Acquisition value for IRPF is actual purchase price unless value is verified by regional authority
V5386-26
Acquisition value for IRPF will be the actual purchase price unless values are verified by regional authorities
V5273-26
Separate tax obligations for share acquisition and segregation, no TS doctrine application
V5086-26
CITpax to submit peace activity grant application within 30 days
BOE-A-2026-13757
Sale of an industrial vessel may be subject to VAT or ITPAJD depending on the status of the parties
V5069-26
Purchase of a home may be subject to VAT or ITPAJD depending on first or second delivery
V1449-26
Dissolution of community of property with excess allocations may be taxable under specific conditions
V1265-26
Sale of homes after uninterrupted rental for over two years may be VAT-exempt
V1202-26
Dissolution of a community of property with economic activity taxed as a corporate transaction
V1138-26
Acquisition of co-owner share in auction subject to patrimonial onerous transfers
V1151-26
Excess allocations in separate estates subject to ITP if not inevitable
V1149-26
Excess allocations in separate estates liable to ITP if not inevitable
V1155-26
Excess allocations in separate estates subject to ITP if avoidable
V1152-26
It is not possible to treat three separate inheritances as a single hereditary mass to avoid ITP over-adjudication
V1161-26
Excess allocations in separate inheritances liable to ITP if not inevitable
V1158-26
Purchase of shares in a mining rights company may be exempt from ITPAJD if no evasion intent is present
V1097-26
Mixed-capital commercial companies not exempt from ITPAJD when buying from individuals
V1104-26
Dissolution of community of goods with excess awards may be subject to ITPAJD or ISD
V1020-26
Dissolution of a community of property without tax excess due to documented legal acts
V1023-26
Acquisition of property by prescriptive right is exempt from ITPAJD
V0892-26
French corporate merger gains may be taxable in Spain if real estate assets are majority-owned
V0871-26
Public listing of a free purchase option not subject to AJD or onerous transfers tax
V0805-26
Partial division of isolated immovable assets does not allow fiscal neutrality regime
V0749-26
Partial spin-off only qualifies for IS tax neutrality if autonomous activity branches are proven
V0715-26
Reverse merger may qualify for fiscal neutrality if commercial requirements are met
V0617-26
Acquired property value set by autonomous community after ITP review
V0570-26
Fusion of a wholly owned subsidiary may qualify for tax neutrality under corporate tax
V0554-26
Total non-proportional spin-off may qualify for fiscal neutrality if segregated assets constitute autonomous business lines
V0562-26
VAT, ITP and notary costs count towards reinvestment exemption
V0489-26
Fusion by absorption may qualify for fiscal neutrality if valid economic reasons exist
V0492-26
The taxable base for new construction is the real cost of the work, not the property value
V0383-26
Contribution of a business line may qualify for tax neutrality regime
V0352-26
Full spin-off could qualify for tax neutrality if not primarily fraudulent
V0360-26
Tax arises on capital reduction date with investment fund shares return
V0238-26
Non-cash property contributions with debt may trigger ITPAJD tax
V0218-26
No taxable under Actos Jurídicos Documentados in judicial documents
V0038-26
A rental business contribution may qualify for fiscal neutrality
V0016-26
Liquidation of a society with real estate assignment to shareholders is subject to ITPAJD
V2509-25
Contribution of real estate to a non-resident company subject to documentary acts tax
V2365-25
Recovery of a vehicle by judicial resolution is not subject to onerous property transfers tax
V2361-25
Notarial deed subject to ITPAJD unless transmission tax payment is proven
V2180-25
Acquisition of disqualifying land does not benefit from ITPAJD exemption in documented legal acts
V1585-25
Cannot amend declared value in ITP self-declaration if it is the highest amount
V1523-25
Entrepreneur status for VAT purposes regarding securitization funds and its impact on the Transfer Tax and Stamp Duty
V1508-25
Acquisition value of property set by autonomous community after ITP review
V1393-25
Taxation of the dissolution of non-business community property
V1220-25
Free contribution of a private property to marital society not subject to ISD or ITPAJD
V1106-25
Sale of property for cryptocurrencies constitutes a barter transaction subject to IRPF and ITP
V0935-25
Assignment of rural properties by share exchange in undivided ownership via onerous property transfers
V0753-25
ITPAJD devengue depending on the nature of the transaction with suspensive clause
V0664-25
Acquisition value for IRPF is the actual purchase price, regardless of ITPAJD reference value
V0512-25
Exposure to ITP and AJD of beach exploitation licences depends on whether there is a patrimonial displacement
V0397-25
Number of ITPAJD taxable events depends on quota distribution between spouses buyer and seller
V0286-25
Non-cash contributions cannot benefit from fiscal neutrality if economic activity requirement is not met
V0277-25
Loan extinction not subject to Inheritance and Gift Tax
V0260-25
The buyer pays the AJD on the sale and purchase and the credit institution pays the AJD on the mortgage loan
V0141-25
The deed of horizontal division of a cooperative is not covered by the exemption under Article 34 of Law 20/1990
V0118-25
The allocation of real estate through capital reduction is subject to VAT and to the corporate operations modality of the Transfer Tax and Documented Legal Acts Tax
V0085-25
The establishment of a Compensation Board does not constitute a transfer of assets and, in principle, is not subject to corporate operations or Stamp Duty
V0003-25
Contribution of Spanish real estate to a Chilean company is subject to Stamp Duty
V2596-24
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