Partner-attended · reply within 24 business hours
Language
Corporate transactions, capital markets and strategic deals.
Independent assessment and rigorous valuation of assets and businesses.
Business reinvention, sustainability and wealth management.
Corporate governance, succession and transformation
International tax planning and cross-border structuring.
Regulatory compliance and tax reporting obligations.
Special regimes for individuals and digital assets.
Tax defense and wealth taxes
Corporate immigration, ICT transfers, investor residency, digital nomad and regularisation.
Employment relations, mobility and regulatory protection.
Protection, compliance and digital resilience
Data protection, DPO and AI regulation
Company formation, contracts, shareholder agreements and corporate operations.
Contracts, dismissals, redundancies and labour court representation.
Insolvency proceedings, fresh start, micro-enterprise procedure and dissolution.
Litigation, arbitration, mediation, IP and real estate law.
Accounting, reporting and outsourced financial management.
Entity management, governance and personnel administration.
Incorporation, incentives and business acceleration.
Risk management, continuity and recovery
New guides on the latest Spanish tax and immigration developments.
Expert analysis and market trends.
Periodic analysis and technical documents
Practical tools for informed decision-making.
Enter a reference (BOE-A-2026-...), a regulation, or a topic. 70 results.
Lack of causality between relocation and employment contract precludes applying the special regime under Article 93 of the LIRPF
V5319-26
Must exist causal link between relocation and administrative role
V5382-26
Causality required between move to Spain and directorship for special IRPF regime
V5360-26
Geographic mobility expense increase applicable in 2025 and 2026
V1630-26
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
Posibilidad de aplicar el régimen especial del artículo 93 de la LIRPF al trabajador y a su progenitor de hijos menores
V2608-25
UK national asks if special regime applies to move to Spain as tech subsidiary manager
V2590-25
Special tax regime requires causal link between appointment and relocation
V2454-25
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
Can the special regime of Article 93 of the LIRPF be applied for a move to Spain due to appointment as administrator?
V1817-25
Causal link required between move to Spain and appointment as administrator
V1614-25
Increase in geographic mobility expenses requires proof of actual change of habitual residence
V1362-25
Special regime requires causal link between relocation and appointment
V1209-25
Special tax regime for LIRPF administrators requires proof of causal link to Spain move
V1068-25
Increment in deductible mobility expenses applicable in year of move and next
V0481-25
Can a Swedish national apply for the LIRPF special regime upon becoming an administrator?
V0344-25
Geographic mobility expenses require residence change to be demanded by the new post
V0310-25
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
Can UK citizens opt for special tax regime upon moving to Spain as administrator
V1954-24
Can a UK citizen qualify for LIRPF special regime upon moving to Spain to become a foundation trustee?
V1953-24
To qualify for the startup tax regime, relocation to Spain must follow acquisition of management position
V1983-24
Causes must link relocation to appointment as administrator
V1621-24
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
Can a Swedish national access the special tax regime for relocating to Spain to manage a real estate company?
V0962-24
Deductible geographic mobility costs if relocation is due to job acceptance
V0952-24
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
Possibility of claiming the special tax regime under Article 93 of the LIRPF as an administrator
V2910-23
Residents may opt for startup regime if move to Spain follows appointment as administrator
V2909-23
To qualify for the special regime under Article 93 LIRPF, no income from a permanent establishment may be obtained
V2817-23
Special regime of Article 93 LIRPF requires proof of causal link between relocation and appointment as administrator
V2734-23
Can nationals apply for special LIRPF regime if moving to Spain as administrator or employee?
V2565-23
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
Australian citizen may qualify for Spain's special regime as administrator without significant shareholding
V2363-22
Can workers benefit from the Beckham regime if moving to Spain is due to their employment?
V0784-22
Opportunity to opt for special tax regime for displaced workers (Art. 93 LIRPF)
V0008-22
Can you apply for the LIRPF special regime as an administrator without significant participation?
V0007-22
Special regime of Article 93 of the IRPF requires relocation to be linked to becoming an administrator
V0990-21
UK national may apply for special LIRPF regime under work contract
V0851-21
Requirements for the special regime of the LIRPF for workers displaced abroad
V0358-21
Requirements to access the special regime of the LIRPF by appointment as administrator
V0376-21
Possibility of applying the special regime of LIRPF for becoming an administrator
V0375-21
Requirements for special tax regime for non-residents after relocation to Spain
V2731-20
Requirements for access to the special tax regime under Article 93 of the LIRPF
V2307-20
Opportunity to apply non-resident tax regime for work-related relocation
V1109-20
Special tax regime under Article 93 of LIRPF not applicable without labour contract or managerial status link
V0628-20
Special regime under Article 93 of LIRPF requires work contract to justify move to Spain
V1108-19
Requirements for the application of the special tax regime for Non-Resident Income Tax
V0777-19
Requirements for the application of the special regime under the Personal Income Tax Act due to labor relocation
V0338-19
Possibility of applying special regime for displaced workers if causal link exists
V3220-18
Cannot apply special regime under Article 93 of LIRPF due to lack of required labour displacement
V2156-18
El régimen especial de la LIRPF puede aplicarse si el desplazamiento a España es consecuencia de un contrato de trabajo o de la adquisición de un cargo de administrador
V1423-18
Quick message
We reply within 24 business hours. Confidential handling guaranteed.
Auto-detected from the page you are viewing.
Check the privacy box to submit
Google Meet
Direct slot with the partner. Complimentary consultation · no commitment · cancel up to 24h in advance.
Loading availability…
We're fully booked for the next 14 days.
That's a good sign — and we won't leave you hanging.
No cost · no commitment · cancel up to 24h in advance
Reschedule · Cancel
Request callback
Tell us a time window and a phone number. A partner will call you back during the chosen slot.
< 24 h reply · direct with partner
Have a specific question? Tell us your situation in a sentence or two — a partner will reply within 24 business hours.
Complimentary 30-minute meeting with the partner responsible for your area. Google Meet or in person. Cancel up to 24h in advance.
Tell us your preferred time slot and a phone number. A partner will call you back — no hold queues, no gatekeepers.
A partner calls directly · Same day if requested
We use our own and third-party cookies to improve your experience. More information
Essential for the website to function. Cannot be disabled.
Help us understand how you use the site to improve it.
Enable relevant content and advertising.