Taxation of earned revenue for a company from another country (teleworking)
We analyze a consultation to the Directorate-General for Taxation (DGT) on the taxation of earned revenue for a company from another country through remote working.
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We analyze a consultation to the Directorate-General for Taxation (DGT) on the taxation of earned revenue for a company from another country through remote working.
The Community of Madrid has announced a 20% deduction in IRPF (income tax) for non-resident foreign investors
In this post you can find information about the Spanish special tax regime for impatriates. Do you want to apply the Beckham Law to your earnings? We can help you
In this post we explain the basic concepts to avoid any surprises or problems with the Tax Agency
What does the General Directorate for Taxation say? We analyze this situation using the binding consultation V1162-22, of May 26, 2022 as a reference
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Lockdown days in the host country of posted workers will be calculated for the purposes of the exemption of Article 7P LIRPF
The Supreme Court comes to a decision on the calculation of transit days in relation to the exemption of Article 7P LIRFP (work carried out abroad)
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Any person who was unable to return to their country from Spain due to the State of Emergency could end up being a tax resident in Spain in 2020
Practical examples of income that constitutes a taxable event with respect to Income Tax for Non-Residents in Spain. What returns does it apply to?
Spanish Tax Agency will maintain the schedule initially planned for the Income tax and Wealth Tax Campaign 2019 despiteCoronavirus
If you are not tax resident and you own a property, have bought shares or have engaged in business activity here, you may have tax obligations to meet
Deadline to submit the spanish declaration about transactions, assets and liabilities held abroad
Do you know the taxes you have to pay when selling a home in Spain if you are a foreigner? They are different from what a Spanish would have to pay
Double Taxation Agreements are International Treaties signed by two States in order to avoid double taxation.
It is the main residence that determines whether a party is subject to Spanish personal income tax, except where determined otherwise
What tax obligations are there? What taxes do the company and the employee have to pay? How can double taxation be avoided?
What are the tax implications of such means of work for both the company and the employee?
The DGT criterion has taken an unexpected turn following the Supreme Court ruling of November 28, 2017 (reversal interest)