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Consultancy services on tax residence of individuals

Service description:

Consultancy services on tax residence of individuals

Our consultants specialised in tax residency and double taxation provide dedicated support to clarify your tax position in Italy. During the video call, you will receive tailored consultancy, preliminary assessments of requirements, and practical guidance to regularise your situation.

 

Book a video call with one of our experts now.

Read the terms and conditions

Consultants at Arletti & Partners are selected exclusively among associates and collaborators with proven academic qualifications, expertise, and professional experience. During the call, they provide answers strictly related to the selected topic and the jurisdiction specified in the service details, based on the questionnaire completed beforehand; questions outside these parameters are not considered a service failure. Appointments may be rescheduled only once within two business days before the call, and the consultation fee is non-refundable; the service is deemed delivered once the meeting ends within the reserved time. At the conclusion of the video conference, clients may complete a quality questionnaire to report feedback or issues, which the management will evaluate at its sole discretion. Invoices are issued within the month of payment. By booking the call, the client acknowledges and accepts these terms.

since 1998

Studio A&P offers professional consulting services to businesses and individuals.

Studio A&P supports companies and individuals with their activities in Italy and Worldwide, providing specialized assistance in global mobility of workers, Italian and international taxation.

years of
experience
0
clients trusted
A&P in 2025
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Learn more about the topic with our guides

Highlighted info-sheet
The rules governing tax residency in Italy for non-residents have been recently amended by Legislative Decree No. 209/2023. The changes introduced concern the connecting criteria, which are provided as alternatives, for the attribution of resident status.

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Latest info-sheet from the A&P Team

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Latest news from the A&P Team

Permanent Establishment Art 5 OECD
Fictitious foreign company residency is an elusive phenomenon that consists in the dissociation between the formal and the effective residence of legal entities. It entails various consequences in the fiscal,...
Resident Art 4 OECD
The rules governing tax residency in Italy for non-residents have been recently amended by Legislative Decree No. 209/2023. The changes introduced concern the connecting criteria, which are provided as alternatives,...
Resident Art 4 OECD
The Increasing transboundary movement of people challenges a traditional keystone of fiscal regulations, progressively eroding the territorial and static work-model upon which these have been developed, in particular from the...