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Requirements for withholding tax exemption for interest and royalties paid to EU associated companies clarified

|Approved Changes|Italy
Italy

In a tax ruling dated 27 May 2009, No. 131/E, the Italian Tax Administration (ITA) clarified that the exemption from withholding tax provided for interest and royalties paid to associated companies resident in a EU Member state does not apply if the recipient holds the company that makes the payment through a related company (i.e. indirect holding). The ITA further clarified that in…

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