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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 52 results.
Must exist causal link between relocation and administrative role
V5382-26
Special tax regime requires relocation to be linked to appointment as administrator
V1313-26
Cannot apply Beckham regime if relocation not linked to becoming administrator
V0580-26
Special tax regime requires relocation to be linked to becoming an entity administrator
V0456-26
UK national asks if special regime applies to move to Spain as tech subsidiary manager
V2590-25
Requisitos para optar al régimen especial de tributación (Art. 93 LIRPF) por la condición de administrador
V2473-25
Requirements to access the special regime under Article 93 of the LIRPF as an administrator
V1970-25
Causal link required for special tax regime for administrators
V1857-25
Causal link required between move to Spain and appointment as administrator
V1614-25
Administrator relocation to Spain may qualify for LIRPF special regime
V1439-25
Requirements to access the special tax regime under Article 93 LIRPF as an administrator
V0923-25
UK citizen may qualify for special tax regime upon becoming Spanish company administrator
V0700-25
Can a Swedish national apply for the LIRPF special regime upon becoming an administrator?
V0344-25
Causal link required between move and administrator role
V2654-24
Beckham regime for founder appointed as administrator of Spanish subsidiary: possible if company is not a patrimonial entity and relocation is causally linked to appointment
V2335-24
Move to Spain as foundation patron and DG allows special regime under art. 93 LIRPF
V2095-24
To qualify for the startup tax regime, relocation to Spain must follow acquisition of management position
V1983-24
Can a UK citizen qualify for LIRPF special regime upon moving to Spain to become a foundation trustee?
V1953-24
Causality required for special regime under article 93 LIRPF
V1622-24
No causal link between move to Spain and becoming administrator
V1582-24
Tax residency and access to Startup regime depend on causal link of relocation
V1238-24
Access to startup regime under Article 93 of the LIRPF as administrator
V0795-24
Requirements to access the special regime under Article 93 LIRPF as an administrator
V3190-23
Residents may opt for startup regime if move to Spain follows appointment as administrator
V2909-23
Requirements to access the Startup special regime as an administrator
V2913-23
Requirements to access the special regime of the LIRPF as an administrator
V2914-23
Possibility of claiming the special tax regime under Article 93 of the LIRPF as an administrator
V2910-23
Citizen from Germany may qualify for special tax regime under Article 93 of LIRPF if relocation follows appointment as administrator
V2708-23
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
UK national can apply for startup regime if moving to Spain due to becoming administrator
V0352-23
V2456-22
V1595-22
V1331-22
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
Requirements to apply for the special regime under Article 93 of the Spanish IRPF for administrator status
V3025-21
Special regime of Article 93 of the IRPF requires relocation to be linked to becoming an administrator
V0990-21
Possibility of applying the special regime of LIRPF for becoming an administrator
V0375-21
Voluntary termination of employment does not automatically exclude special regime
V1916-20
Can a Swedish national apply for the special tax regime upon becoming a Spanish company administrator?
V1208-20
Special tax regime under Article 93 of LIRPF not applicable without labour contract or managerial status link
V0628-20
Requirements to apply for the special regime under Article 93 of the LIRPF as an administrator
V2807-19
UK national can opt for special tax regime under Article 93 of LIRPF if working in Spain
V0332-19
Possibility of applying special regime for workers displaced upon becoming Spanish company administrator
V0276-18
Requirements for applying the special regime for displaced workers through the acquisition of administrator status
V3283-17
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
Acceso al régimen especial de trabajadores desplazados por la condición de administrador
V0235-16
Displaced administrator eligible for special regime under Article 93 of LIRPF
V3682-15
Exemption for foreign work requires employment relationship
V0100-14
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