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PRACTICE AREAS
CORPORATE TAXATION
M&A AND CORPORATE REORGANISATIONS
TAX LITIGATION
PRIVATE EQUITY
INTERNATIONAL TAXATION
REAL ESTATE TAXATION
FINANCIAL TAXATION
TRANSFER PRICING AND PATENT BOX
MANAGEMENT INCENTIVE PLANS
PRIVATE CLIENTS AND NON-PROFIT ENTITIES
VAT AND INDIRECT TAXES
PUBLICATIONS
NEWS AND EVENTS
PEOPLE
PRACTICE AREAS
CORPORATE TAXATION
M&A AND CORPORATE REORGANISATIONS
TAX LITIGATION
PRIVATE EQUITY
INTERNATIONAL TAXATION
REAL ESTATE TAXATION
FINANCIAL TAXATION
TRANSFER PRICING AND PATENT BOX
MANAGEMENT INCENTIVE PLANS
PRIVATE CLIENTS AND NON-PROFIT ENTITIES
VAT AND INDIRECT TAXES
PUBLICATIONS
NEWS AND EVENTS
Menu
PEOPLE
PRACTICE AREAS
CORPORATE TAXATION
M&A AND CORPORATE REORGANISATIONS
TAX LITIGATION
PRIVATE EQUITY
INTERNATIONAL TAXATION
REAL ESTATE TAXATION
FINANCIAL TAXATION
TRANSFER PRICING AND PATENT BOX
MANAGEMENT INCENTIVE PLANS
PRIVATE CLIENTS AND NON-PROFIT ENTITIES
VAT AND INDIRECT TAXES
PUBLICATIONS
NEWS AND EVENTS
Il differimento dell’exit tax convive con il credito d’imposta fittizio
28/03/2021
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Italy – Corporation Income Tax Rate – Outbound Acquisitions: holding companies of Europe – A guide for tax planning, or a road map for difficulty? – Practising Law Institute
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