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New guides on the latest Spanish tax and immigration developments.
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Articles from our experts on the topics that matter to your business.
Spanish Criminal Code LO 10/1995: Book I general provisions, Book II offences, arts. 248 fraud, 252 misappropriation, 390 document falsification, 31 bis and 310 bis corporate criminal compliance. BMC guide.
Civil Code 1889: books, arts. 1902-1910 extra-contractual liability, 1091-1258 contracts, succession and private international law. BMC reference guide.
Practical guide to RD Legislativo 8/2015 LGSS: affiliation, contributions, pensions, unemployment, RETA regime for self-employed workers and employer obligations to Social Security.
GILTI (IRC §951A) when you become a Spanish tax resident: the §962 election, Spanish CFC under Art. 91 LIRPF, double exposure math, Foreign Tax Credit coordination.
Form 5471 obligations for US citizens and green card holders who are now Spanish tax residents. Categories, Spanish SL trigger, Subpart F + GILTI, coordination with Modelo 720.
Capital gains from selling a US LLC or C-Corp as a Spanish tax resident: Art. 13 US–Spain tax treaty, Beckham exemption, ETVE holding, NIIT §1411, §1446(f) withholding, and pre-sale planning structures.
Pre-move planning for US-to-Spain relocations when you own an LLC or C-Corp: IRC §877A exit tax, day-one Spanish tax residency, Modelo 149 Beckham deadline, and LLC management in year one.
Why a Spanish ETVE (Art. 107-108 LIS) competes with Dutch and Luxembourg holdcos for channeling US investments. Comparison, requirements, and a worked case study.
Spanish CFC rules (Art. 91 LIRPF / Art. 100 LIS) applied to C-Corps and US LLCs: the 4 cumulative conditions, effective rate threshold, passive income catalog, and the GILTI double-exposure problem.
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