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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 30 results.
The sale of shares in a Spanish company by an entity from the United Arab Emirates may require the filing of an NRIs tax return
V0188-26
Requirements for the exemption of cultural services by entities of a social nature
V2012-25
Asset management by a Spanish entity does not necessarily mean a foreign entity has its effective tax residence in Spain
V0138-24
Dubai free zone subsidiary covered by Spain-UAE double tax treaty
V1605-23
Shipping hire benefits taxed only in effective management country
V3228-21
Tax deduction for Irish income from international flights allowed
V1930-21
Residency and physical presence required for reduced gaming tax rates
V0837-21
A company established in Estonia may be deemed a Spanish tax resident if its effective management is based in Spain
V1964-20
Tratamiento fiscal de un piloto residente en España que trabaja para una compañía aérea china
V2185-18
La gestión de una IIC luxemburguesa por una sociedad española no determina su residencia fiscal en España
V1593-17
The management of foreign funds by a Spanish management company does not, in itself, determine tax residence or a permanent establishment
V0129-17
Move of fiscal residence to abroad ends tax period
V5187-16
Loss of Spanish tax residency if Spanish company's registered office and effective management move to Germany
V3966-16
Moving a company's tax residence to Portugal may trigger a capital gain in corporate tax
V3538-16
Residence tax in Spain obtained by moving registered office and effective management address
V3100-16
Foreign company redomiciliation does not generate income or capital gains
V3066-16
El traslado de la sede de dirección efectiva al extranjero puede obligar a integrar la diferencia entre el valor de mercado y el valor fiscal
V3067-16
Move of registered office and effective management to foreign country results in loss of Spanish tax residency
V3879-15
Change of lex societatis and commercial registration triggers loss of fiscal residency
V3202-15
El traslado de domicilio social o sede de dirección efectiva a España supone la obtención de la residencia fiscal
V2414-15
Foreign collective investment funds managed by Spanish resident fund managers are not tax residents
V1949-15
Change of registered office precludes special merger regime if not a European Society
V0928-15
Luxembourg companies moving domicile to Spain may trigger tax residency and corporate tax liability
V0923-15
Tax consequences of moving fiscal residence abroad: integration of value differences and effects on fiscal consolidation
V3215-14
Moving fiscal residence abroad loses Spanish residency and requires integration of latent capital gains
V1782-14
Contribution of real estate to a foreign company not subject to corporate tax but liable for AJD
V1619-14
A company may be tax resident in Spain if its effective management office is located here
V0962-14
Effective head office determines tax residence in cases of dual residency (Spain-Germany Convention)
V0654-14
Loss of Spanish fiscal residence upon relocation of registered office and effective management base triggers integration of dormant income
V0591-14
Tax attribution of Hong Kong financial income under international fiscal transparency rules
V0128-14
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