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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 32 results.
Third-party services not included in purchase price for used goods margin calculation
V5154-26
Lack of full-time employee precludes considering property rental as economic activity
V0632-26
Sale or contribution of shares by employees is not subject to withholding by the company
V2251-24
Tour guide services may be exempt from VAT if the recipient is an entity not established in Spain
V1700-24
Sale of shares in a foreign company generates capital gain or loss in personal income tax
V2706-23
V2707-23
Foreign company's domicile shift to Spain creates no income, but subsequent merger may
V1777-23
Spain may tax indirect holdings in real estate via Wealth Tax and ITSGF
V1697-23
Dissolution of a tax group due to loss of dominant status triggers Art. 74.1 LIS effects if integration into a new group is partial
V2182-22
Directors of foreign companies do not require a Spanish TIN if they do not act as representatives before the Tax Agency
V0383-22
Forgiveness of a loan between companies does not generate income for partners for Personal Income Tax purposes (except in certain cases)
V2916-21
A non-resident is not subject to Wealth Tax due to ownership of a foreign company
V2646-21
Sale of shares in a foreign company generates capital gains or losses in personal income tax
V3329-20
Non-cash contributions may be eligible under special regime if legal requirements and valid economic reasons are met
V0421-19
Exemption from Wealth Tax and donation reduction for foreign company shares
V0226-19
Skipper and boat maintenance services are subject to VAT if the recipient has a registered office or permanent establishment in Spain
V3112-18
Relocating a foreign company's registered office to Spain does not trigger capital gains or losses
V1164-17
Transfer of share usufruct by non-monetary contribution creates gain or loss
V4983-16
Dissolution of a BVI company only subject to ITPAJD if it carries out business operations in Spain
V4626-16
Dissolution of a Guernsey company only subject to ITPAJD if it carries out business operations in Spain
V4627-16
Dissolution of a foreign company only triggers corporate tax on corporate transactions if it conducts business in Spain
V4405-16
Move of US company domicile to Spain exempt from ITP and AJD
V4262-16
Dissolution of a foreign company may be subject to VAT or ITPAJD depending on its activity and status as a trader
V2323-16
Contribution of shares to a foreign company is not subject to corporate operations tax or Stamp Duty
V1838-16
Contributions to foreign companies for corporate operations are non-taxable, but real estate contributions incur Stamp Duty
V0650-16
Move of a foreign company's domicile to Spain does not generate taxable income
V1918-15
Formal and real ownership of foreign shares to be declared
V1780-15
The dissolution of a foreign company shall be taxed as a corporate transaction only if it conducts business in Spain
V1684-15
Donation of shares in a foreign company is taxed in the Autonomous Community where the donee resides
V0857-15
Exemption possible in transfer of shares if TRLIS conditions met
V3275-14
Contribution of real estate to a foreign company not subject to corporate tax but liable for AJD
V1619-14
Non-residents liable for Spanish wealth tax on property holdings in Spanish companies
V1452-14
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