Mar22021Noticias Share this!Post navigationPreviousPrevious post:Soft LandingNextNext post:Post-BREXIT ERA: new taxation at 24% for British entities that have real estate in Spain for the use of their partners or administrators.Entradas relacionadasMDG Advisors attends the Digital Business World Congress in Malaga12 June 2024Presumption of obtaining income for corporate income tax purposes29 May 2024Tax residence in Spain and the Administration’s burden of proof24 May 2024The Supreme Court confirms the deductibility of directors’ and administrators’ remuneration for corporate income tax purposes, even if there is no provision in the Articles of Association22 May 2024Situations in which it is necessary to adjust the ITP at the general rate13 May 2024Tax obligations of the figure of the withholder in different financing alternatives for companies10 May 2024
The Supreme Court confirms the deductibility of directors’ and administrators’ remuneration for corporate income tax purposes, even if there is no provision in the Articles of Association22 May 2024
Tax obligations of the figure of the withholder in different financing alternatives for companies10 May 2024