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. 28 results.
Death of usufructuary does not create new IRPF acquisition date
V5274-26
Subrogación en valor y fecha de adquisición en transmisiones de bienes recibidos por pactos de mejora con efectos de presente
V1508-26
Acquisition value of a property under a definition succession pact shall be determined by Article 36 of the IRPF Law
V1145-26
IIVTNU period starts from acquisition by marital property society
V0875-26
Death of usufructuary does not create new IRPF acquisition
V0835-26
Value appreciation period starts from property acquisition date
V0814-26
Three-year period for habitual residence starts from acquisition if inhabited within 12 months
V0731-26
Application of subrogation to acquisition value and date for property received by improvement pact
V0564-26
Acquisition value of inherited property determined by Inheritance Tax rules
V0518-26
Sale of a segregated plot from inherited land creates capital gain or loss
V2556-25
Dissolution of gainful shares without excess allocation does not generate patrimonial gain or update property value
V2346-25
Acquisition value of property must be separated by ownership share and awarded portion
V1151-25
Original acquisition date and value retained for rural property consolidation gains
V1172-25
Deduction for energy rehabilitation can be applied on amounts paid after property purchase
V1124-25
Acquisition date and value of inherited or debt-secured real estate depend on origin
V0497-25
Three-year period for habitual residence starts from purchase date if occupied in first 12 months
V0478-25
Purchase of property in marital dissolution retains original value and acquisition date
V0374-25
Possibility of applying fiscal neutrality regime to non-cash contributions and dividend exemption
V0086-24
Shareholding contributions to a new company may qualify for fiscal neutrality under certain conditions
V2663-23
Share exchange in fund fusion may be tax-neutral if LIS requirements met
V2146-23
Value and acquisition date of shares obtained by exchange depend on special regime application
V2519-22
Contributions retain original value and acquisition date for income tax calculation
V0709-22
Obligación de informar sobre la titularidad de bienes inmuebles situados en el extranjero
V1072-17
No immediate gains or losses on share exchange under special merger regime
V1667-16
Values received in a split retain their original fiscal value and acquisition date
V0924-16
No age requirement for share exchange in holding company formation
V0673-16
Dividends after share exchange retain original acquisition date for tax purposes
V1362-15
Shares received in a special merger regime retain original acquisition value
V2924-14
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.