Our latest article has been published in the most important Italian financial newspaper, 'Il Sole 24 Ore', on 31 May 2023. It is commenting on the reply to a recent ruling application submitted by our firm to the Inland Revenue Agency and edited by Mr Paolo Malagoli (our name partner), in a team with Mr Francesco Baccaglini (lawyer), for an important foreign client of ours.
Click here to read the article (only in Italian).
The Revenue Agency's reply clarified, albeit with no particular legal depth, some interesting application aspects of the special tax regime optionally reserved for those who transfer their residence to Italy and decide to pay a lump sum substitute tax of 100,000 euro on foreign-source incomes (Article 24-bis of Italian income tax law - shortly IITL).
We do not want to go over the features of the Italian 'Res-non-dom' tax regime and its peculiarities, You can read our old but updated post about it (by clicking here). We want only to summarise below the exciting interpretations of the Italian Revenue Agency in this regard:
Our professional firm offers specialised tax advice to individuals who wish to relocate their residence to Italy also taking advantage of the favourable tax package provided for New Residents by Article 24 bis of the IITL. We cooperate with their foreign tax advisors, take care of the ruling application ('interpello') to the Inland Revenue Agency and support the whole relocation phase up to the ordinary annual tax consultancy and the related tax services (tax return declaration and tax payments). We have a lot of experience with the special tax legislation for 'resident not domiciled' (new residents) since its first introduction in our legal system and many clients for whom we have already successfully handled the option for this special tax regime. Contact us with confidence to discuss your case, in complete confidentiality.
We will also find the best solution for you.