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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 59 results.
Partial taxation under special and general IRPF regimes not allowed
V0466-26
Beckham regime maintained if short-term inactivity followed by new administrative role
V1208-25
Meal allowances for workers relocated to another municipality may be exempt from income tax if conditions are met
V1079-25
No need to justify meal costs up to 53.34 euros per night
V2439-24
Foreign work IRPF exemption depends on whether services are real intragroup services
V0042-23
The taxation of gains from the sale of foreign shares under the special regime depends on the residence of the issuing entity
V2195-22
Requirements for exemption from foreign work income
V0588-22
The exemption for work performed abroad requires that the service be provided to a non-resident entity
V2192-21
Non-taxable in special regime for foreign earnings without Spanish activity
V2074-21
Requirements for exemption from income tax on foreign work
V0850-21
Dismissance payments are taxable in Spain if earned from work carried out in Spain
V0753-21
Foreign work exemption requires similar tax if no double taxation treaty
V0749-21
Rental income of displaced workers taxed annually via form 151
V0560-21
Exemption applicable for foreign work if ultimate beneficiary is a non-resident entity
V3046-20
Temporary interruption of employment due to third-party reasons does not exclude special regime
V2544-20
Foreign work exemption requires services to a non-resident entity or permanent establishment
V2387-20
Requirements for access to the special tax regime under Article 93 of the LIRPF
V2307-20
Exemption possible for foreign work if conditions met
V1170-20
Exercise of patron or administrator functions does not necessarily exclude from Beckham Law special regime
V1086-20
Tax residency determined by presence, economic interests or family residence
V0627-20
La residencia fiscal por permanencia superior a 183 días obliga a tributar por la renta mundial
V3232-19
Foreign work exemption requires recipient to be non-resident or foreign permanent establishment
V2958-19
Foreign property profits exempt for displaced workers in Spain
V1167-19
La cesión de vehículos para uso particular a un trabajador desplazado puede constituir retribución en especie
V0949-18
Application of displaced workers' regime precludes double taxation treaty residency
V2918-17
Meal allowances for temporary relocation may be exempt from income tax
V2525-17
El trabajador desplazado al extranjero mantiene su residencia fiscal en España si no acredita residencia en otro país
V2250-17
La residencia fiscal y la tributación de un trabajador desplazado a Alemania se determinan según la LIRPF y el Convenio de Doble Imposición
V5408-16
Fiscal residency in Spain maintained if worker cannot prove residency in destination country
V3763-16
Exemption possible for foreign work under IRPF rules
V3310-16
Special regime for displaced workers can be maintained beyond €600k income
V1561-16
Requirements for exemption from income from foreign work
V2655-15
El trabajador desplazado a Suecia tributará por su renta mundial si mantiene la residencia fiscal en España
V2025-15
Requirements for claiming exemption for work abroad
V1642-15
V1602-15
Exemption not applicable for foreign work performed for a Spanish company
V1430-15
Requirements for IRPF exemption for foreign work
V1315-15
V0815-15
Requirements for claiming exemption for foreign work (Art. 7.p LIRPF)
V0742-15
Foreign work exemption requires service to a non-resident entity
V0386-15
Exemptions available for foreign work income for non-resident companies
V0385-15
Foreign work exemption requires genuine intragroup service
V0387-15
V0045-15
Foreign work exemption requires service to a non-resident entity or permanent establishment
V0026-15
IRPF retention for repatriated workers must be calculated on total annual earnings
V3070-14
V2710-14
Retention obligation depends on worker's fiscal residency
V2477-14
Cannot claim special regime for displaced workers if fiscal residence not acquired by displacement
V2113-14
Fiscal residency in Spain depends on 183-day presence or economic interest base
V2083-14
Tax residency in Spain depends on presence, economic interests or family ties
V1634-14
Foreign work exemption requires service to be genuinely rendered to a non-resident entity
V1542-14
Requirements for IRPF exemption for foreign work and group services
V1539-14
Company must file negative declaration even if no IRNR retention due
V1453-14
Foreign work exemption requires proof of foreign tax residency and intragroup services
V1007-14
Displaced worker must file Model 100 if earning income from permanent economic activities in Spain
V0897-14
Foreign work exemption requires intragroup service benefiting the non-resident entity
V0913-14
Exemption from IRPF for foreign work under certain conditions
V0660-14
Foreign work exemption requires utility to recipient and analogous tax
V0571-14
Requirements and limits for foreign work exemption (Art. 7.p LIRPF)
V0003-14
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