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. 200 results.
A non-cash contribution by an UAE resident to a Spanish company may be treated as capital gain
V5256-26
Contributor's share in proindiviso deemed non-monetary contribution and not an economic activity
V5232-26
Contribution of a housing rental activity may qualify for fiscal neutrality
V5084-26
The contribution of a line of business may qualify for the tax neutrality regime if it constitutes an autonomous economic unit
V5079-26
Tratamiento del IVA en la aportación de inmuebles en una ampliación de capital
V5070-26
Contributor's share contribution treated as patrimonial gain
V1613-26
Requisitos para la aplicación del régimen de neutralidad fiscal en la aportación de elementos patrimoniales o ramas de actividad
V5037-26
Posibilidad de aplicar el régimen de neutralidad fiscal en la aportación de cuotas de comunidad de bienes
V5038-26
Possibility of applying habitual home exemption to property contribution by persons over 65
V1385-26
Fiscal neutrality cannot apply if commercial accounting is not maintained
V5004-26
It is possible to access the fiscal neutrality regime by contributing property shares from a community of goods to a company, subject to certain conditions
V1144-26
Possibility of applying fiscal neutrality to the contribution of a business branch to a company
V1091-26
It is possible to apply for fiscal neutrality by contributing property shares from a community of goods to a company
V1075-26
Fiscal neutrality regime requires properties to be linked to economic activity for three years
V1055-26
Contribution of property shares to a subsidiary may qualify for fiscal neutrality
V1059-26
Renting activity not considered economic if employee also performs property promotion functions
V1046-26
Contribution of an activity branch may qualify for fiscal neutrality if it forms an autonomous economic unit
V1049-26
Contributions of business lines may qualify for fiscal neutrality if they constitute autonomous economic units
V1028-26
Renting property constitutes an economic activity only if a full-time employee is hired
V0978-26
Separation of activities may qualify for fiscal neutrality if activity branch and participation criteria are met
V0868-26
Retail business transfer may qualify as non-cash contribution to a business line
V0809-26
Non-cash contribution of a business line may qualify for fiscal neutrality
V0815-26
Contribution of a business line may qualify for fiscal neutrality if it forms an autonomous economic unit
V0769-26
Contribution of community property shares to a company may qualify for fiscal neutrality
V0771-26
Contribution of rural property shares from a community of property may qualify for fiscal neutrality
V0770-26
Possibility of applying fiscal neutrality to non-monetary contributions to a property community
V0773-26
Inmobiliar activity contribution may qualify for fiscal neutrality
V0741-26
Value swaps will not be treated as taxable if neutrality conditions are met
V0659-26
Non-cash contributions and spin-offs could qualify for fiscal neutrality if legal requirements are met
V0610-26
Commercial centre contribution may qualify as activity branch contribution
V0607-26
Fiscal neutrality regime applicable to non-monetary contribution of real estate activity branch
V0425-26
Contribution of community property shares to a society may qualify for fiscal neutrality under certain conditions
V0357-26
It is possible to apply the fiscal neutrality regime to the contribution of a community of goods share under certain conditions
V0311-26
Requirements for fiscal neutrality in the contribution of business branches
V0230-26
Non-cash property contributions with debt may trigger ITPAJD tax
V0218-26
Possibility of applying fiscal neutrality to land contributions to new companies
V0181-26
Contribution of business activities could qualify for tax neutrality
V0164-26
Rentals of community property not economic activities without full-time employment
V0048-26
Transfer of a separate economic unit may be exempt from VAT and covered by a special non-cash contribution regime in income tax
V0049-26
Requirements for claiming fiscal neutrality in the contribution of a business activity branch
V0035-26
Fiscal neutrality regime applicable to ideal share contribution in a community of property
V0033-26
Contribution of a business activity to a new company may qualify for fiscal neutrality
V0008-26
A rental business contribution may qualify for fiscal neutrality
V0016-26
Contribution of a business branch may qualify for fiscal neutrality
V0009-26
Requisitos para la aplicación del régimen de neutralidad fiscal en operaciones de escisión parcial
V2504-25
Contribution of an activity branch to a society may qualify for fiscal neutrality if operations are maintained
V2399-25
Non-cash contribution may qualify for fiscal neutrality if it forms an autonomous economic unit
V2313-25
Possibility of applying the tax neutrality regime to the contribution of a branch of agricultural activity
V2150-25
Requirements for the application of the tax neutrality regime in the contribution of quotas of a community of property
V2151-25
Fiscal neutrality regime possible for agricultural activity contribution
V2154-25
Contribution of community property shares to a society may qualify for fiscal neutrality
V2143-25
Fiscal neutrality regime cannot apply to rented property contributions
V2117-25
Requirements for the contribution of a business line to qualify for the tax neutrality regime
V2022-25
Possibility of applying the tax neutrality regime to the non-monetary contribution of land to a new company
V2028-25
Non-cash machinery contribution may qualify for fiscal neutrality regime
V2026-25
Possibility of applying the tax neutrality regime in the contribution of shares of a community of property to a company
V2039-25
Fiscal neutrality regime applicable to vehicle contributions to a new company
V1895-25
Fiscal neutrality possible in non-cash contribution and total split under certain conditions
V1896-25
Requirements for the application of the tax neutrality regime in the contribution of assets
V1764-25
Requisitos para la aplicación del régimen de neutralidad fiscal en la aportación no dineraria de ramas de actividad
V1741-25
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.