Tax Advisor: Exit Tax in Spain: Implications for Large Investors and Application Conditions

From the perspective of individual taxation, a fundamental aspect to consider when evaluating the tax implications related to changing fiscal residence from Spain to a third country is known as “Exit Tax,” regulated in Article 95.BIS of the LIRPF. This aspect is particularly relevant for large investors who hold stakes in various companies located in… Continue reading Tax Advisor: Exit Tax in Spain: Implications for Large Investors and Application Conditions