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Consultancy on tax residence in Italy of individuals

Studio A&P provides a specialised consultancy on tax residence in Italy of individuals.

Our Firm verifies the existence of the conditions requested by Italian law and the applicable bilateral conventions for the attribution of the resident status in Italy.

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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.

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How we can help you

Tax residence of individuals in Italy

The analysis and consultancy of the specific case by our Experts is structured as follows:

  • verification of the conditions for tax residence of individuals pursuant to Article 2 of the Italian Income Tax Code (TUIR), i.e.,  residence, domicile or physical presence in the Italian territory, and in light of any applicable bilateral convention;
  • identification of the applicable tax regime and related documentary and tax assistance;
  • preliminary opinions (memoranda) providing a thorough analysis of the situation and clear guidance on the documentation to be retained in the event of a tax audit;
  • advisory and assistance in cases of so-called dual residence under the provisions of applicable tax treaties;
  • in the event of incorrect application of the relevant regulations, our Firm provides assistance with refund claims and/or during tax litigation proceedings.

Arletti & Partners Team

The team at Studio Arletti & Partners is made up of over 50 highly qualified and multilingual professionals, specialized in global mobility and tax consultancy, including worker postings, Italian and international taxation, and immigration procedures both in Italy and abroad.

Our Areas of Expertise include:

Why you should request a consultation

Knowing whether an individual is considered a tax resident in Italy is essential for determining the tax regime to which they are subject. Individuals who are tax residents in Italy are liable to tax on their worldwide income, whereas non-residents are only taxed on income sourced within the Italian territory.

The role of tax advisors is crucial in verifying whether the requirements for recognition of Italian tax residence are met, and in assisting both resident and non-resident individuals with their tax compliance obligations in Italy.

In addition, many years of international experience enable our Experts to assist clients with all matters relating to the application of tax treaties and the interaction between domestic and supranational regulations.

Discover more about this topic with our guides

Highlighted Insight

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,...

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Latest info-sheet from the A&P Team

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...
Income Tax Law
A guide on tax residency in Italy: how it is determined, what the subsequent obligations are and the main changes for 2024....
Resident Art 4 OECD
The Italian tax residence certificate is issued by the Italian Tax Agency and certifies that the tax domicile of the applicant is in Italy....

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Latest news from the A&P Team

Resident Art 4 OECD
The Italian Supreme Court (Corte di Cassazione) issued Order No. 22838/2025 regarding the procedure for serving documents on Italian citizens residing abroad and registered with AIRE....
Resident Art 4 OECD
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Resident Art 4 OECD
Tax Ruling No. 199/2025 amends the previous position expressed by the Italian Revenue Agency regarding the taxation of bonuses granted under an incentive plan and the related withholding obligations, in...
Resident Art 4 OECD
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With Ruling No. 81/2025, The Internal Revenue Agency provided clarification regarding the tax regime applicable to cases of workers involved in international mobility....
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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...

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Consultancy services on tax residence of individuals

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