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Tax services in Italy for individuals
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.

Insured for over 10 million euros

Language: IT, EN, FR, ES, DE

Quality ISO 27001 Certified

Team +50 Experts

ICE Providers & Lecturers

Posted Workers Alliance

Chartered Tax Advisors

We operate in all Europe

Quality ISO 9001 Certified

We are Relocation Experts

Based in Italy and active Worldwide
Our tax assistance services for individuals
Studio A&P provides assistance and advice regarding Building Bonuses, with the guarantee of access to all available benefits and the security of having compliant documentation in case of verification by the competent bodies.
Studio A&P, in collaboration with external partners, provides consulting services on the totalisation of social security contributions and, in particular, on:
- The period from which the right to a pension in Italy is accrued;
- The calculation of the amount of Italian pension, also taking into account contributions paid abroad.
Arletti & Partners offers an online Italian tax return service for individuals and companies, with personalized consultations, secure document management, and flexible options for filing, ensuring full compliance with Italian tax regulations.
Studio A&P can help you get an Italian VAT number (partita IVA), choose the appropriate tax scheme and manage your accounting, fully online.
Whether you are a tax resident or non-tax resident in Italy, Studio A&P can support you in filing your Italian tax return and recover your foreign tax credit.
Studio A&P can help you verify the compliance of the property you intend to purchase, from a legal, fiscal and cadastral point of view, by drawing up a dedicated dossier.
Studio A&P provides full assistance for accessing the Impatriate Tax Regime in Italy, including:
- Application preparation
- Support during employment contract negotiation
- Possible consultation with the Revenue Agency
- Application of the benefit through the tax return
Guides from A&P Tax Experts

Tax residence of corporate entities in Italy
The Tax residence’s regime of legal entities in Italy has been amended by Legislative Decree No. 209/2023. The amendments concern the connecting factors, provided as alternatives, for the attribution of resident status.

Operating in the Construction Sector in Estonia: A Guide for Foreign Companies
Guide to the obligations for foreign companies operating in the construction sector in Estonia.

Tax residence
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 viewpoint of the identification of the tax residence of natural and legal persons, the discipline of which is provided by articles 2,3, 23 and 73 of Italian Tax Consolidated Text (TUIR).

Domestic work visa: how to apply
Requirements and procedures for obtaining a domestic work visa in Italy.

Agency Permanent Establishment in Italy
A person who acts on behalf of a foreign enterprise and habitually concludes contracts or acts for that purpose, can give rise to an agency permanent establishment in Italy, according to the provision of Article 162, Paragraph 6 of TUIR (Italian Tax Consolidated Text). Specific conditions have to be fulfilled and verified in each single case in order to examine whether the performed activities determine the existence of a permanent establishment.

Permanent Establishment from Construction Site in Italy
For a permanent establishment to be constituted, there are a number of conditions that must be met and need to be verified in each single case. According to the Italian Tax Consolidated Text, a construction or assembly or installation site can give rise to a permanent establishment if a specific condition based on time duration of the site is met: whenever the threshold of three months is exceeded. Indeed, in the cases the so-called permanence test (i.e., the place of business should have a certain “degree” of permanence), is replaced by the duration test.
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