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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 25 results.
The special tax neutrality regime may be applied to contributions of shares if the minimum participation requirements are met
V0873-24
Tax relief for donations in Personal Income Tax depends on the legal nature and purposes of the recipient entity
V0344-24
Share contributions may qualify for fiscal neutrality if LIS requirements are met
V3140-23
Requirements for claiming fiscal neutrality in social share contributions
V2730-23
V2699-23
Non-cash contribution of a surface right may qualify for fiscal neutrality
V1901-23
Non-cash contributions may be eligible under special regime if conditions met
V1694-23
Non-cash contributions may be subject to special regime if residency, shareholding and valid economic reasons are met
V0852-22
Income tax deductions for donations depend on the legal status and compliance of the recipient entity
V2913-21
Asset contribution may qualify under special regime if residency, 5% shareholding and valid economic reasons are met
V1776-21
Support services provided by a regional institute are subject to VAT if the recipient entity is owned by a public university
V0530-21
Cannot apply special non-cash contribution regime if recipient is a Russian resident without a permanent establishment in Spain
V2827-20
Application of the special regime for asset contributions requires minimum participation and valid economic motives
V2306-20
Minimum 5% share in own funds required for non-cash contributions
V2294-20
Free loan of artworks via commodatum does not generate capital income for Personal Income Tax purposes
V0613-20
Non-cash contributions may be subject to special regime if residency, 5% shareholding and valid economic reasons are met
V2108-19
To deduct donations from Personal Income Tax, the recipient entity must meet Law 49/2002 requirements or be of public utility
V0118-19
Requirements for the application of the exemption for work performed abroad
V3303-17
Non-cash contributions may apply under special regime if conditions met
V0251-17
Exemption for dividends and positive income in partner separation possible if LIS art. 21 conditions met
V4502-16
Non-cash contributions may qualify under special regime if 5% ownership and valid economic reasons are met
V1469-16
Market value assessment in non-monetary business contributions and deductibility of intangibles
V1219-15
Donations to religious entities may be exempt from corporate and IIVTNU tax
V2589-14
Capital increases do not generate accounting profits or income for the recipient company
V2437-14
Special tax neutrality regime applicable to share contributions subject to specific requirements
V1767-14
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