Italian Credit Licence: Sanction Regime

With the recent note 9326 and pursuant to art. 27 of the Legislative Decree No. 81/2008, the Italian Labour Inspectorate (INL) has provided clarifications with regard to the credit licence sanction regime.
Clarification from the Revenue Agency on the taxation of capital gains from the sale of foreign currencies

In accordance with Resolution No. 60/E of December 9, 2024, the Italian Revenue Agency provides clarifications regardind the taxation of capital gains from the sale of foreign currencies.
Consultation for Italian Visa Application

During the call you will be assisted by a dedicated Expert of Studio A&P on the Italian Visa Application process. The consultation serves as an introduction on the Italian Visa policy. Based on your case, you will be advised on the most suitable type of Italian Visa you can apply for, with an overview on the […]
New Flow Decree approved by the Italian Senate on December 4, 2024

New Decreto Flussi approved: what are the most important changes.
Recognition of foreign qualifications in Italy

Discover how to obtain recognition of foreign educational and academic qualifications in Italy with the support of CIMEA.
Tax Advantages in Italy: option for Revenue Agency Agreement

How to obtain income tax relief for your business in Italy.
Facilitation first house for residents abroad moved for business reasons

The set of tax benefits for the first home aim at fostering the purchase of real estate to be used as primary residence. This specifc case is related to residents abroad moved for business reasons. The italian Revenue Agency has issued its opinion.
Hiring non-EU workers without proper documentation: a tightening by the Court of Cassation

The Court of Cassation has strengthened controls on foreign workers without a residence permit, requiring companies to comply with immigration regulations to avoid criminal risks and penalties.
Italy-Monaco Tax Conflict Resolved Through Multilateral Agreement Based on the OECD Convention

In accordance with the Judgement No. 698 of October 1 2024, the Second-Level Tax Court of Liguria has resolved Italy-Monaco Tax Conflict through a multilateral agreeement based on OECD Convention by recognising the fiscal residence of the appellant in Monaco thanks to international criteria of residence.