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ITALY TAX Alert  2012 

 HLB International European Conference
          Limassol, Cyprus ‐ January 13, 2012

                   Francesco Marconi 
HLB Consultants Italia ‐ Studio Associato De Vecchi ‐ Milan
ITALY TAX Alert 2012
Italy’s Tax System – Direct Taxes (1)
Corporate Income Tax (IRES)
• Companies resident in Italy for IRES tax purposes are subject to IRES for income
    earned in Italy and abroad. Companies not resident in Italy for tax purposes are
    subject to IRES only for income earned in Italy.
•   Taxable income is taxed at a 27.50 % rate.
The Regional Business Tax (IRAP)
• The Regional Business Tax (IRAP) is a local tax levied on the value of production
    generated in each tax period in Italian Regions by subjects engaged in business
    activities. Non‐resident companies are subject to IRAP only on the value of
    production generated by permanent establishments in Italian territory.
•   IRAP is currently applied at the 3.9% rate, possibly increased by a regional
    surcharge of up to 0.92%.
ITALY TAX Alert 2012
Italy’s Tax System – Direct Taxes (2)
Individual Income Tax (IRPEF)
• A progressive scale is applied to successive portions of taxable income under
    IRPEF. Personal Tax rates range from 23% to 43% (2011).
•   In addition, a “solidarity surcharge” (Contributo di Solidarietà) of 3% will be levied
    on the portion of annual personal income exceeding EUR 300,000 for the fiscal
    years 2011, 2012 and 2013. Taxpayers, however, will be entitled in the year of
    payment to a tax deduction for the amount of solidarity surcharge paid.
•   In addition, a regional surcharge ranging from 0.9% to 1.4% is levied under IRPEF
    depending on the level of income and region of residence, together with a
    municipal surcharge of up to 0.8% depending on the municipality of residence.
ITALY TAX Alert 2012
Italy’s Tax System ‐ New measures
On 14 September 2011, the Italian Parliament
approved the austerity package (Law Decree
138/2011) and on 29 December 2011, approved
the Law Decree 216/2011 containing a set of
extraordinary measures to address the financial
crisis and stabilize public finances.


                    The     most        significant   tax
………………………… measures can be summarized
……………………………as follows.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (1)
VAT
• The standard tax rate increased from 20% to 21% starting from
  September 17 2011
• New increase in the standard rate of VAT from 21% to 23% and the
  reduced rate from 10% to 12%.
   The increased rates will be effective from 1st October 2012.
• The decree also envisages a further increase in the standard rate of
  0.5% from 1st January 2014
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (2)
Allowance for Corporate Equity (ACE) 
Decree allows a new deduction ("ACE Deduction") in the computation of the taxable profits
of certain entities and individuals.
The ACE Deduction will be available to Italian resident corporations, public and private
commercial entities, commercial trusts and Italian permanent establishments of non‐Italian
resident entities, resident individuals, general partnerships and limited partnerships.
The ACE Deduction will be equal to a certain percentage of the equity increase accrued
after the financial year as at 31 December 2010 (the "Eligible Equity").
The applicable percentage, to be calculated on the average return rate of public bonds, will
be determined by a Ministerial Decree on a yearly basis.
For the fiscal year as at 31 December 2011 and for the two subsequent fiscal years, the
applicable rate will be 3%.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (3)
Allowance for Corporate Equity (ACE)
As to the first fiscal year of application of ACE Deduction, the Eligible Equity will be
calculated as the difference between:
i.      the amount of equity existing at the end of the relevant financial year; and
ii.     the amount of equity existing at the end of the financial year as at 31 December
        2010, which will be equal to the net equity reported in the relevant balance sheet;
        the profit or loss realized in the financial year will not be taken into account in the
        calculation.
With respect to newly incorporated companies, the Eligible Equity will be equal to the net
equity reported in the balance sheet of the first financial year, excluding the relevant profit
or loss realized in such a year.
In case the ACE Deduction is higher than the net business income, the excess will be
available for carry‐forward to increase the ACE Deduction in the subsequent fiscal years.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (4)
Carrying forward tax losses – Abolition of time limits
The new feature essentially consists of the abolition of the time limit for carrying them
forward, a maximum of 5 years in the past, in favor of a new quantitative time limit.
The new features will be applicable from 2011.
Losses may be carried forward in future years, in fact, but only up to a limit of 80% of the
profit produced.
In essence, a change of course which will, nevertheless, entail subjecting a quota of 20% of
the profit realized by companies, even with large previous losses, to taxation.


EXCEPTION
The exception for losses realized in the first three years of the startup of a new company
remains unaffected (indefinitely deductible ).
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (5)
Regional Business Tax “IRAP”  taxable income
Taxable income for IRAP purposes is equal to the net value of production generated in each
Italian Region and calculated as the difference between the macro‐categories A and B (with the
exception of a number of items) of the income statement as drawn up on the basis of Italian
National Accounting Standards (for entities drawing up their financial statements in accordance
with International Accounting Standards ‐ IAS, the corresponding items are considered).
• For industrial and commercial enterprises:
       – Positive components include all income, with the exception of: 
            a.    capital gains generated by the disposal of companies and equity investments); 
            b.    specified extraordinary income components; 
            c.    financial income (dividends, interest)
       – Negative components include all costs and expenses, with the exception of: 
            a.    labour costs (with some exceptions);
            b.    interest and finance charges; 
            c.    specified capital losses and negative components of extraordinary income.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (6)
Deduction of IRAP on employment costs and new deductions from IRAP taxable basis
Decree allows deduction from business income of the portion of the Regional Tax on
Business Activities ("IRAP") relating to employment costs. The IRAP portion relating to
employment costs is deductible from the Corporate Income Tax ("IRES") and the Income
Tax ("IRPEF") taxable basis and applies from the fiscal year as at 31 December 2012.
Furthermore, starting from the fiscal year following the fiscal year as at 31 December 2011,
the deduction from IRAP taxable basis allowed on each open‐term employee employed in
the relevant fiscal year, will be increased from € 4,600, on a yearly basis, to:
i. € 10,600, on a yearly basis, with respect to each female employee and to each
   employee under the age of 35. This deduction is not available to companies operating under
   concessions and tariffs in the following sectors: energy, water, transport, infrastructure, postal services,
   telecommunications, wastewater collection and purification and waste collection and disposal; and
ii. € 15,200, on a yearly basis, with respect to each female employee and to each
    employee under the age of 35 employed in the following Regions: Abruzzo,
    Basilicata, Calabria, Campania, Molise, Puglia, Sardegna and Sicilia. This deduction is not
   available to banks, insurance companies and other financial institutions and to companies operating under
   concessions and tariffs in the following sectors: energy, water, transport, infrastructure, postal services,
   telecommunications, wastewater collection and purification and waste collection and disposal.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (7)
Introduction of a new Property Tax (IMU)

Decree replaces the existing municipal tax (Imposta Comunale sugli Immobili, "ICI") with a new
property tax (Imposta Municipale Propria, "IMU").
ICI was a property tax applicable yearly on the value of the relevant property, as determined by
the local land office, at a rate ranging from 0.4% to 0.7%, depending on the municipalities. The
“home residence” was excluded.
IMU is a property tax applicable yearly on the value of the relevant property, as determined by
the local land office. Decree set the standard IMU rate at 0.76%. However, such ordinary rate can
be either increased to 1.06% or decreased to 0.46% depending on the municipalities.
Municipalities can also determine an ordinary 0.4% IMU rate for either properties having a
function within an enterprise (i.e. beni strumentali) or rented properties.
Decree also set a 0.2% IMU rate, which could be decreased to 0.1% by the municipalities, for rural
properties having a function within an enterprise (i.e. fabbricati rurali ad uso strumentale).
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (8)
New Flat tax rate on income from financial investments (1)
The Italian Government has introduced a 20% flat rate of tax on income from financial
investments.
The following measures will be effective as of January 2012:
•   Tax on dividends from non‐qualified shareholdings will increase from 12.5% to
    20%.
•   Tax on dividends from listed companies located in blacklisted countries will
    increase from 12.5% to 20%.
     – No increase has been levied in respect of dividends received from non‐listed
        companies located in blacklisted countries.
•   Tax on bank interest will be reduced from 27% to 20%.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (9)
New Flat tax rate on income from financial investments (2)
• Interest from bonds with a duration greater than 18 months will be taxed at an
    increased rate of 20%, compared with the previous 12.5% rate.
•   Interest from bonds with a duration of less than 18 months will be taxed at a
    reduced rate of 20% compared with the previous 27% rate.
•   Interest from Government bonds and post bonds will continue to be taxed at
    12.5%.
•   Capital gains tax on non‐qualified shareholdings will be increased from 12.5% to
    20%.
•   Maturing life insurance investments will be taxed at an increased rate of 20%.
No amendments have yet been made to the tax rates applicable to dividends and
capital gains arising from companies and qualified shareholdings.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (10)
Important Sentence on beneficial owner (1)
The sentence 124/09/10 issued by Turin Tax Commission on the beneficial owner
of a foreign company is an important reference document on non‐fulfillment of
international treaties.
Within the dispute between the Italian Tax Authority and an Italian company
accused of paying royalties to a Luxembourgian company with a concessionary
tax 10% deduction (instead of the ordinary 30% tax deduction), the Turin Tax
Commission has stressed that no evidence was presented that the beneficiary
company was the final royalties beneficiary.
ITALY TAX Alert 2012
Italy’s Tax System – Key Issues (10)
Important Sentence on beneficial owner (2)
The sentence has dismissed the appeal by the Italian society          for the following
reasons:
•   on the basis of article 12 of the Italian convention, a 10% subsidized tax
    deduction is applicable in Luxembourg; the supplying company has to prove that
    the beneficial owner is actually the final and effective beneficiary
•   the ‘formal’ interpretation of the concept of beneficial owner is incorrect, only
    the ‘substantive’ interpretation has       to be      taken into account.       The
    Luxembourgian company lacks substance         and   is owned by        a   Bermudian
    company, it has received patents from other societies of the group it belonged to
    for free, therefore it was considered to be a money collector and not the final
    royalties beneficiary.
ITALY TAX Alert 2012


  FOR MORE INFORMATION

f.marconi@studiodevecchi.com
Thank You!

Local in Touch, Global in Reach




                                  hlbi.com

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Italy Tax Alert Hlbi Cyprus Def

  • 1. ITALY TAX Alert  2012  HLB International European Conference Limassol, Cyprus ‐ January 13, 2012 Francesco Marconi  HLB Consultants Italia ‐ Studio Associato De Vecchi ‐ Milan
  • 2. ITALY TAX Alert 2012 Italy’s Tax System – Direct Taxes (1) Corporate Income Tax (IRES) • Companies resident in Italy for IRES tax purposes are subject to IRES for income earned in Italy and abroad. Companies not resident in Italy for tax purposes are subject to IRES only for income earned in Italy. • Taxable income is taxed at a 27.50 % rate. The Regional Business Tax (IRAP) • The Regional Business Tax (IRAP) is a local tax levied on the value of production generated in each tax period in Italian Regions by subjects engaged in business activities. Non‐resident companies are subject to IRAP only on the value of production generated by permanent establishments in Italian territory. • IRAP is currently applied at the 3.9% rate, possibly increased by a regional surcharge of up to 0.92%.
  • 3. ITALY TAX Alert 2012 Italy’s Tax System – Direct Taxes (2) Individual Income Tax (IRPEF) • A progressive scale is applied to successive portions of taxable income under IRPEF. Personal Tax rates range from 23% to 43% (2011). • In addition, a “solidarity surcharge” (Contributo di Solidarietà) of 3% will be levied on the portion of annual personal income exceeding EUR 300,000 for the fiscal years 2011, 2012 and 2013. Taxpayers, however, will be entitled in the year of payment to a tax deduction for the amount of solidarity surcharge paid. • In addition, a regional surcharge ranging from 0.9% to 1.4% is levied under IRPEF depending on the level of income and region of residence, together with a municipal surcharge of up to 0.8% depending on the municipality of residence.
  • 4. ITALY TAX Alert 2012 Italy’s Tax System ‐ New measures On 14 September 2011, the Italian Parliament approved the austerity package (Law Decree 138/2011) and on 29 December 2011, approved the Law Decree 216/2011 containing a set of extraordinary measures to address the financial crisis and stabilize public finances. The most significant tax ………………………… measures can be summarized ……………………………as follows.
  • 5. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (1) VAT • The standard tax rate increased from 20% to 21% starting from September 17 2011 • New increase in the standard rate of VAT from 21% to 23% and the reduced rate from 10% to 12%. The increased rates will be effective from 1st October 2012. • The decree also envisages a further increase in the standard rate of 0.5% from 1st January 2014
  • 6. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (2) Allowance for Corporate Equity (ACE)  Decree allows a new deduction ("ACE Deduction") in the computation of the taxable profits of certain entities and individuals. The ACE Deduction will be available to Italian resident corporations, public and private commercial entities, commercial trusts and Italian permanent establishments of non‐Italian resident entities, resident individuals, general partnerships and limited partnerships. The ACE Deduction will be equal to a certain percentage of the equity increase accrued after the financial year as at 31 December 2010 (the "Eligible Equity"). The applicable percentage, to be calculated on the average return rate of public bonds, will be determined by a Ministerial Decree on a yearly basis. For the fiscal year as at 31 December 2011 and for the two subsequent fiscal years, the applicable rate will be 3%.
  • 7. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (3) Allowance for Corporate Equity (ACE) As to the first fiscal year of application of ACE Deduction, the Eligible Equity will be calculated as the difference between: i. the amount of equity existing at the end of the relevant financial year; and ii. the amount of equity existing at the end of the financial year as at 31 December 2010, which will be equal to the net equity reported in the relevant balance sheet; the profit or loss realized in the financial year will not be taken into account in the calculation. With respect to newly incorporated companies, the Eligible Equity will be equal to the net equity reported in the balance sheet of the first financial year, excluding the relevant profit or loss realized in such a year. In case the ACE Deduction is higher than the net business income, the excess will be available for carry‐forward to increase the ACE Deduction in the subsequent fiscal years.
  • 8. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (4) Carrying forward tax losses – Abolition of time limits The new feature essentially consists of the abolition of the time limit for carrying them forward, a maximum of 5 years in the past, in favor of a new quantitative time limit. The new features will be applicable from 2011. Losses may be carried forward in future years, in fact, but only up to a limit of 80% of the profit produced. In essence, a change of course which will, nevertheless, entail subjecting a quota of 20% of the profit realized by companies, even with large previous losses, to taxation. EXCEPTION The exception for losses realized in the first three years of the startup of a new company remains unaffected (indefinitely deductible ).
  • 9. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (5) Regional Business Tax “IRAP”  taxable income Taxable income for IRAP purposes is equal to the net value of production generated in each Italian Region and calculated as the difference between the macro‐categories A and B (with the exception of a number of items) of the income statement as drawn up on the basis of Italian National Accounting Standards (for entities drawing up their financial statements in accordance with International Accounting Standards ‐ IAS, the corresponding items are considered). • For industrial and commercial enterprises: – Positive components include all income, with the exception of:  a. capital gains generated by the disposal of companies and equity investments);  b. specified extraordinary income components;  c. financial income (dividends, interest) – Negative components include all costs and expenses, with the exception of:  a. labour costs (with some exceptions); b. interest and finance charges;  c. specified capital losses and negative components of extraordinary income.
  • 10. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (6) Deduction of IRAP on employment costs and new deductions from IRAP taxable basis Decree allows deduction from business income of the portion of the Regional Tax on Business Activities ("IRAP") relating to employment costs. The IRAP portion relating to employment costs is deductible from the Corporate Income Tax ("IRES") and the Income Tax ("IRPEF") taxable basis and applies from the fiscal year as at 31 December 2012. Furthermore, starting from the fiscal year following the fiscal year as at 31 December 2011, the deduction from IRAP taxable basis allowed on each open‐term employee employed in the relevant fiscal year, will be increased from € 4,600, on a yearly basis, to: i. € 10,600, on a yearly basis, with respect to each female employee and to each employee under the age of 35. This deduction is not available to companies operating under concessions and tariffs in the following sectors: energy, water, transport, infrastructure, postal services, telecommunications, wastewater collection and purification and waste collection and disposal; and ii. € 15,200, on a yearly basis, with respect to each female employee and to each employee under the age of 35 employed in the following Regions: Abruzzo, Basilicata, Calabria, Campania, Molise, Puglia, Sardegna and Sicilia. This deduction is not available to banks, insurance companies and other financial institutions and to companies operating under concessions and tariffs in the following sectors: energy, water, transport, infrastructure, postal services, telecommunications, wastewater collection and purification and waste collection and disposal.
  • 11. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (7) Introduction of a new Property Tax (IMU) Decree replaces the existing municipal tax (Imposta Comunale sugli Immobili, "ICI") with a new property tax (Imposta Municipale Propria, "IMU"). ICI was a property tax applicable yearly on the value of the relevant property, as determined by the local land office, at a rate ranging from 0.4% to 0.7%, depending on the municipalities. The “home residence” was excluded. IMU is a property tax applicable yearly on the value of the relevant property, as determined by the local land office. Decree set the standard IMU rate at 0.76%. However, such ordinary rate can be either increased to 1.06% or decreased to 0.46% depending on the municipalities. Municipalities can also determine an ordinary 0.4% IMU rate for either properties having a function within an enterprise (i.e. beni strumentali) or rented properties. Decree also set a 0.2% IMU rate, which could be decreased to 0.1% by the municipalities, for rural properties having a function within an enterprise (i.e. fabbricati rurali ad uso strumentale).
  • 12. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (8) New Flat tax rate on income from financial investments (1) The Italian Government has introduced a 20% flat rate of tax on income from financial investments. The following measures will be effective as of January 2012: • Tax on dividends from non‐qualified shareholdings will increase from 12.5% to 20%. • Tax on dividends from listed companies located in blacklisted countries will increase from 12.5% to 20%. – No increase has been levied in respect of dividends received from non‐listed companies located in blacklisted countries. • Tax on bank interest will be reduced from 27% to 20%.
  • 13. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (9) New Flat tax rate on income from financial investments (2) • Interest from bonds with a duration greater than 18 months will be taxed at an increased rate of 20%, compared with the previous 12.5% rate. • Interest from bonds with a duration of less than 18 months will be taxed at a reduced rate of 20% compared with the previous 27% rate. • Interest from Government bonds and post bonds will continue to be taxed at 12.5%. • Capital gains tax on non‐qualified shareholdings will be increased from 12.5% to 20%. • Maturing life insurance investments will be taxed at an increased rate of 20%. No amendments have yet been made to the tax rates applicable to dividends and capital gains arising from companies and qualified shareholdings.
  • 14. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (10) Important Sentence on beneficial owner (1) The sentence 124/09/10 issued by Turin Tax Commission on the beneficial owner of a foreign company is an important reference document on non‐fulfillment of international treaties. Within the dispute between the Italian Tax Authority and an Italian company accused of paying royalties to a Luxembourgian company with a concessionary tax 10% deduction (instead of the ordinary 30% tax deduction), the Turin Tax Commission has stressed that no evidence was presented that the beneficiary company was the final royalties beneficiary.
  • 15. ITALY TAX Alert 2012 Italy’s Tax System – Key Issues (10) Important Sentence on beneficial owner (2) The sentence has dismissed the appeal by the Italian society for the following reasons: • on the basis of article 12 of the Italian convention, a 10% subsidized tax deduction is applicable in Luxembourg; the supplying company has to prove that the beneficial owner is actually the final and effective beneficiary • the ‘formal’ interpretation of the concept of beneficial owner is incorrect, only the ‘substantive’ interpretation has to be taken into account. The Luxembourgian company lacks substance and is owned by a Bermudian company, it has received patents from other societies of the group it belonged to for free, therefore it was considered to be a money collector and not the final royalties beneficiary.