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Absorption merger may qualify for tax neutrality regime
V5186-26
Full split of a company may qualify for fiscal neutrality if LIS requirements are met
V5141-26
Absorbing mergers may qualify for tax neutrality if not fraudulently motivated
V5129-26
Possibility of applying fiscal neutrality in absorption mergers if no fraud is involved
V5023-26
Total split may qualify for fiscal neutrality if conditions met
V5007-26
Full spin-off may qualify for LIS tax neutrality if legal requirements are met
V0772-26
Reverse merger may qualify for fiscal neutrality if commercial requirements are met
V0617-26
La escisión total puede acogerse al régimen de neutralidad fiscal si cumple los requisitos de la LIS y el ámbito mercantil
V2583-25
Reverse merger may qualify for tax neutrality under LIS
V2442-25
Full spin-offs may qualify for tax neutrality if LIS requirements are met
V2404-25
Total spin-offs may qualify for tax neutrality if LIS requirements are met
V2397-25
Total spin-offs may qualify for tax neutrality if conditions are met
V2385-25
Mergers by absorption may qualify for the tax neutrality regime if they meet the requirements of the LIS and the commercial scope
V1768-25
Mergers between companies may qualify for the tax neutrality regime if they meet the requirements of the LIS and the commercial scope
V1518-25
Fusion could qualify for tax neutrality if LIS conditions met
V0655-25
Full split of a company may qualify for tax neutrality if LIS requirements are met
V0401-25
V0352-25
Absorption merger may qualify for fiscal neutrality if meeting commercial and LIS requirements
V0434-24
Merger by absorption may qualify for tax neutrality if valid economic reasons exist
V0044-24
Absorption merger may qualify for special tax neutrality regime
V3141-23
Merger may qualify for special tax neutrality regime
V3139-23
Merger by absorption may qualify for the tax neutrality regime if legal requirements are met and valid economic reasons exist
V2859-23
Agricultural civil societies are taxed via income attribution and must file Form 184
V3406-20
Value swap and absorption merger may qualify under special regime
V2943-20
Mergers and demergers may qualify for special tax regime if conducted for commercial purposes with valid economic reasons
V2652-19
Merger by absorption may qualify for special Corporate Tax regime if valid economic reasons exist
V1561-19
Mergers for valid economic reasons may qualify for special regime and dividend and income exemptions
V0014-17
A merger may qualify for the special tax neutrality regime if it has valid economic reasons
V5402-16
Registration in the Mercantile Registry does not exempt a civil society from Corporate Tax
V5240-16
Professional civil societies are not subject to Corporate Tax
V4917-16
Total spin-off following a merger may qualify for special Corporate Tax regime if commercial and economic requirements are met
V4852-16
Civil societies engaged in livestock farming are not subject to Corporate Tax
V4793-16
Partnerships engaged in agricultural or livestock activities are not subject to Corporate Tax
V4534-16
Joint ownerships are taxed via income attribution rather than Corporate Tax
V4510-16
Mergers, splits, share exchanges and contributions may qualify for special corporate tax regime
V4488-16
Partnerships engaged in livestock farming are not subject to Corporation Tax
V4439-16
Civil societies with livestock activities are not subject to Corporation Tax
V4401-16
V4418-16
Civil societies engaged in fishing activities are taxed under the income attribution regime rather than Corporate Tax
V4207-16
Civil societies with livestock farming activities are not subject to Corporation Tax
V4129-16
Civil societies with livestock activities are taxed via income attribution rather than Corporate Tax
V4012-16
Mergers may qualify for special tax regime if based on valid economic reasons and not tax avoidance
V3842-16
Economic reasons for reverse cross-border merger may qualify for fiscal neutrality regime
V3496-16
Civil societies engaged in professional activities are not subject to Corporate Tax
V3328-16
Civil societies performing professional activities are not subject to Corporate Tax
V3276-16
Civil societies with agricultural or livestock activities are not subject to Corporation Tax
V3229-16
V3216-16
Mergers and non-monetary contributions may qualify for special regime if valid economic reasons exist
V3161-16
Professional civil societies are taxed via income attribution rather than Corporate Tax
V3156-16
Agricultural or livestock joint ventures are not subject to Corporation Tax
V2614-16
Civil companies with a commercial purpose are subject to Corporate Tax
V2563-16
Civil societies with agricultural activities are not subject to Corporate Tax
V2434-16
Civil societies engaged in fishing activities are taxed via income attribution rather than Corporate Tax
V2428-16
Civil societies engaged in fishing are subject to income attribution rules rather than Corporate Tax
V2162-16
Civil societies engaged in fishing are subject to income tax attribution (IRPF) rather than Corporate Tax
V2161-16
Civil societies engaged in agricultural, livestock, forestry or mining activities are not subject to Corporate Tax
V2099-16
Civil societies with agricultural activity are not subject to Corporate Tax
V2073-16
Civil societies engaged in mining activities are taxed via income attribution for Personal Income Tax purposes
V1977-16
Civil societies with professional activity are excluded from Corporate Income Tax
V1791-16
Civil societies engaged in agricultural and livestock activities are not subject to Corporate Tax
V1503-16
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