Tax advisor: The previous Corporate Tax Act already allowed the partial non-application of the FEAC regime.

A DGT report clarifies that the previous Corporate Tax Act already allowed the partial non-application of the FEAC regime (regime for mergers, spin-offs, non-monetary contributions and exchange of securities). This previous law was not at all precise on this aspect, and its literal interpretation could lead to the conclusion that, if there was no legitimate… Continue reading Tax advisor: The previous Corporate Tax Act already allowed the partial non-application of the FEAC regime.