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50% tax reduction available for permanent rental housing
V1290-26
La reducción del 50% en el alquiler de vivienda requiere que el destino primordial sea satisfacer la necesidad permanente de vivienda
V2474-25
Reduction applicable if property used as residential accommodation despite commercial registration
V2435-25
Tax residency depends on physical presence, economic interests and Australia treaty
V2409-25
Earnings of a Portuguese resident may be taxed in Spain if work is performed here
V2341-25
Rent of rooms may qualify for property reduction if conditions met
V2080-25
50% rental relief requires room to be designated as permanent residence
V1903-25
Fiscal residence in case of conflict resolved by permanent home and centre of vital interests
V2601-24
Tax residence is determined by presence, center of economic interests, or Convention rules
V2233-23
Tax residency in Spain determined by presence of over 183 days or economic interest centre
V2044-23
Fiscal residence determined by presence, activity base or family nucleus; German double taxation treaty applies in case of conflict
V1327-23
Student's tax residency depends on internal rules and treaty application
V0613-23
Fiscal residency determined by domestic law and double taxation treaty
V2440-22
Tax residence in Spain is determined by staying for more than 183 days or the core of economic activities
V2321-22
Tax residency determined by LIRPF criteria and double taxation treaties, even during COVID-19
V1632-22
Fiscal residence determined by domestic law and double taxation treaty criteria
V2804-21
Days spent in Spain due to COVID-19 border closures count for tax residency, but double taxation treaty may avoid residence status
V0862-21
Tax residency in Spain determined by physical presence or economic interest centre
V0745-21
Fiscal residence determined by permanent home in case of residence conflict
V1012-20
Determinación de la residencia fiscal y aplicación del Convenio Hispano-Dominicano ante conflicto de residencia
V3419-19
60% rental income reduction possible if contract specifies individual tenant
V2303-19
La residencia fiscal en caso de conflicto entre España y Austria se resolverá mediante el centro de intereses vitales
V0078-18
La determinación de la residencia fiscal depende de la normativa interna y del Convenio con EE. UU.
V1696-17
Tax residency in Spain depends on physical presence or economic interest centre
V1388-17
Resolución de conflictos de residencia entre España y Andorra mediante el Convenio de Doble Imposición
V5353-16
Fiscal residence determined by stay of over 183 days or economic interest centre
V5257-16
El Convenio con Andorra resuelve el conflicto de residencia mediante la vivienda permanente o el centro de intereses vitales
V5035-16
La residencia fiscal se determina por la permanencia de 183 días o el núcleo de intereses económicos
V3511-16
Fiscal residency in Spain requires proof of foreign residence to exclude sporadic absences from the 183-day threshold
V2056-15
Fiscal residence remains in Spain if centre of vital interests and family are there
V0224-15
Fiscal residence determined by physical presence, economic interests or family
V2653-14
Tax residency in Spain determined by presence, economic interests or Portugal double taxation treaty
V2654-14
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