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Taxation

Business Transactions We advise and assist our clients, both resident and non-resident, in areas such as:


- business income taxation, including double tax conventions and the interaction with domestic taxation (permanent establishment, cost sharing agreements, transfer pricing, international tax avoidance, etc.);
- taxation of corporate re-organisations;
- employee taxation (cross-border taxation of employees, taxation of employee benefits, etc.);
- taxation of income from capital and of capital gains;
- taxation of investment funds;
- taxation of non-profit organisations;
- indirect taxation, including value added tax, registration tax, stamp duties (e-commerce transactions, exports and intra-community supplies, multiple supplies, acquisitions of going concerns vs. acquisition of shares, etc.);
- customs duties (origin and valuation issues, preferential tax regimes, etc.).
Tax Litigation and Alternative Remedies to Litigation Monaco e Associati assists its clients throughout their relationship with the Italian Tax Authorities (both central and local):

- at a non-judicial level (annulments of assessments, requests of rulings, amicable settlements, administrative appeals, assistance in tax audits); and
- at a judicial level (assistance and representation before all Italian Tax Courts).
Representation before the Court of Cassation is carried out in co-operation with Studio Tesauro; Avv. Francesco Tesauro is professor of tax law at the University Milan-Bicocca.






Via A. Bertoloni, 19
00197 Roma

Tel.: +39 06.806 933 60
Fax: +39 06.806 933 61
roma@monacoeassociati.com
Via San Maurilio, 13
20123 Milano

Tel.: +39 02.869 989 28
Fax: +39 02.864 602 58
milano@monacoeassociati.com