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Enter a reference (BOE-A-2026-...), a regulation, or a topic. 39 results.
Total non-proportional spin-off requires segregated assets to constitute autonomous business units
V5245-26
Neutral tax regime possible in non-proportional total split
V5211-26
Requisitos para la neutralidad fiscal en escisiones totales no proporcionales
V5074-26
Non-proportional total split not covered by fiscal neutrality if segregated assets do not form autonomous business units
V0863-26
Non-proportional total split not covered by tax neutrality if assets do not constitute existing business lines
V0862-26
Fiscal neutrality cannot apply in a non-proportional total split without distinct business activities
V0751-26
Total non-proportional split requires differentiated activity branches for fiscal neutrality
V0736-26
Total non-proportional spin-off not covered by tax neutrality
V0669-26
No fiscal neutrality in non-proportional total splits without autonomous activity branches
V0656-26
Total non-proportional spin-off requires segregated assets to form activity branches for fiscal neutrality
V0630-26
Total non-proportional spin-off may qualify for fiscal neutrality if segregated assets constitute autonomous business lines
V0562-26
Total non-proportional spin-off requires distinct business branches for fiscal neutrality
V0372-26
Total non-proportional spin-off not covered by special tax regime if assets do not constitute separate business activities
V0039-26
Fiscal neutrality cannot apply in non-proportional total split without activity branches
V0034-26
No fiscal neutrality in non-proportional total splits if segregated assets do not form autonomous business units
V0015-26
Full non-proportional spin-off is tax-neutral only if segregated assets constitute distinct business units
V2359-25
Merger by absorption of wholly owned companies may qualify for the tax neutrality regime under specific conditions
V2357-25
Total non-proportional spin-off requires segregated assets to constitute distinct business lines for fiscal neutrality
V2351-25
Requirements for tax neutrality in merger and spin-off operations
V2352-25
The merger of wholly owned subsidiaries may qualify for the tax neutrality regime under specific conditions
V2354-25
The merger of wholly owned subsidiaries may qualify for tax neutrality if it meets commercial and Corporate Income Tax Law requirements
V2353-25
Conditions for tax neutrality in merger and spin-off operations
V2355-25
The merger by absorption of wholly owned companies may be tax-neutral if it complies with commercial requirements and the Corporate Income Tax Act
V2358-25
Total non-proportional spin-off requires segregated assets to constitute distinct activity branches for fiscal neutrality
V2349-25
V2350-25
Requirements for tax neutrality in non-proportional total demergers
V2318-25
Total non-proportional spin-off requires segregated patrimonies to constitute activity branches for fiscal neutrality
V2052-25
Requirements for tax neutrality in total demerger operations
V2017-25
Requirements for tax neutrality in total spin-off operations
V1983-25
Total non-proportional spin-off requires segregated assets to constitute distinct business activities for fiscal neutrality
V1907-25
V1703-25
Requirements for the application of the tax neutrality regime in total demergers
V1553-25
V1530-25
The application of the tax neutrality regime in a total demerger depends on compliance with the requirements of the Corporate Income Tax Act and commercial regulations
V1505-25
Requirements for the application of tax neutrality in total demerger operations
V1510-25
V0702-25
Non-proportional total split may qualify for fiscal neutrality if segregated assets constitute business units
V0342-25
Requisitos para que una escisión total no proporcional se acoja al régimen especial de Impuesto sobre Sociedades
V3022-19
Requisitos de la escisión total no proporcional para acogerse al régimen especial de IS
V1594-17
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