Inpatriate Tax Regime for professors and researchers residing abroad who return to Italy

The Revenue Agency clarifies new provisions regarding the Inpatriate Tax Regime for professors and researchers who wish to return to Italy.
Return after posting abroad and applicability of regime for inpatriated workers

Inapplicability of the tax benefits for inpatriates: the case of workers returning after being posted abroad.
Application of the Inpatriate Regime following a period of posting abroad

The Revenue Agency confirms the possibility of using the scheme for repatriated workers also following a period of posting abroad.
Inpatriates Tax Regime: confirmed also for individuals who become employees for the Italian Company with which one has cooperated

The regime is also applicable to those who, during their work period abroad, have collaborated with an Italian company with which they become employees once returned to Italy.
Applicability of the Inpatriates Tax Regime: clarification from the Revenue Agency

The Revenue Agency provides clarifications regarding a case of applicability of the Inpatriates Regime from Switzerland to Italy.
Employment income withholding tax from multiannual bonuses and stock options

IRA clarifies the taxation of incomes deriving from stock options and multiannual bonuses granted to employees benefiting from the inpatriates tax relief.
Special Regime for Inpatriate Workers: the tax relief can be extended also for counter-exodates

Workers who are considered Counterexodates and that are in possession of the requisites to take advantage of the inpatriates workers fiscal incentives can extend the benefit of this tax relief for further 5 tax period.
Special Tax Regime for ‘Inpatriates’: extension of the incentives for inpatriate workers who moved to Italy before April 30, 2019

The option to extend the inpatriates tax relief for a further five years can only be exercised once the first five-year period has expired.
Return to Italy due to the natural expiration of secondment abroad: when can the inpatriates regime be applied?

The inpatriates tax regime cannot be applied in the absence of the requirement of the so-called “discontinuity of the work activity