Tax

Garrigues

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  • Tax Newsletter - October 2024

    A comprehensive compilation of the main new developments in tax matters in Spain.
  • First State and Autonomous Community tax measures to support those affected by the DANA (and others that could be considered)

    The State and Autonomous Community governments affected by the DANA that occurred between 28 October and 4 November 2024 have approved various tax measures aimed at alleviating the economic costs and formal obligations of those affected in these first months. We review the main measures already approved and propose others that could be considered.
  • Update of the monetary devaluation coefficients for 2024

    The monetary devaluation coefficients applicable to assets and rights disposed of in 2024 have been published for the calculation of corresponding capital gains.
  • The DGT concludes that machinery not subject to a license, even if essential for the activity, does not form part of the ICIO tax base

    As recalled by the Spanish Directorate General for Taxes (DGT), the Tax on Constructions, Installations and Works (ICIO) does not tax the performance of an industrial or productive activity but rather the realization of an installation, construction, or work.
  • The DGT clarifies new rules on deductible financial expenses in Corporate Tax

    These new rules are applicable for fiscal years beginning from 2024 and have been introduced to align Spanish regulations with the ATAD Directive.
  • Tax Newsletter - July, August and September 2024

    A comprehensive compilation of the main new developments in tax matters in Spain.
  • New developments on lawyer-client privilege in CJEU case law

    In the last entry of our Tax Blog, we mentioned that the CJEU could clarify or refine its doctrine on professional secrecy in its upcoming ruling on case C-432/23, Ordre des Avocats du Barreau de Luxembourg. This anticipated judgment was issued on September 26, 2024.
  • SOCIMI: Script Dividend not valid for meeting dividend distribution obligation when shareholders are PIT or NRIT taxpayers without permanent establishment

    In a recent resolution, the General Directorate of Taxes (DGT) confirms that script dividends are only valid for fulfilling the dividend distribution obligation in the special regime of Listed Companies for Investment in the Real Estate Market (SOCIMI) when they generate income for the shareholder. This means that this mechanism is not valid for meeting this obligation when shareholders are taxpayers of the Personal Income Tax (PIT) or Non-Resident Income Tax (NRIT) without a permanent establishment in Spain.
  • Lawyers’ Professional Secrecy in recent CJEU Jurisprudence

    The CJEU has concluded that the reporting obligations established in the DAC are invalid insofar as they affect lawyers’ professional secrecy, as this guarantees the right to privacy and respect for clients’ private lives. However, it clarifies that the exemption from these obligations does not extend to tax advisors who are not lawyers.
  • International Tax Review recognizes Garrigues as Firm of the Year in Transfer Pricing and Indirect Tax

    Besides being shortlisted for best firm of the year in all existing categories, Garrigues has been doubly recognized as Firm of the Year in Spain in the categories of Transfer Pricing and Indirect Tax.