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Energy

A breadth and depth of complex knowledge.

The energy sector globally is in a constant state of change as consumption levels rise and climate change presents new challenges. Differences in tax legislation, rising costs associated with major projects and increasing environmental and safety requirements can present significant challenges to organisations seeking to grow existing operations and expand into new areas.

Across the network as a whole, we work with businesses worldwide to address the energy issues of today and anticipate those of tomorrow.


 

Major changes to the Italian Tax Legislation for transactions with tax havens

8 May 2016
The Italian Government, by Art. 1 (clauses 142 to 144) of the 2016 Stability Law (turned into Law No. 208 of 28 December 2015, as published in the Official Gazette No. 302 on 30 December 2015), reviewed a number of tax rules to make the domestic tax system more attractive and competitive to foreign investors and Italian companies with cross-border operations.

Tax News - 04/2016

5 May 2016
TABLE OF CONTENTSs   FOCUS ON TAX AND ACCOUNTING TOPICS From May 1st green light to the Reverse Charge on tablet PCs and laptops The Italian Revenue Agency issues the Guidelines on 2016 tax audits FOCUS ON EMPLOYMENT TOPICS (IN COLLABORATION WITH DE LUCA & PARTNERS AND HR CAPITAL IN MILAN)  

Indirect Tax Update - February 2016

17 February 2016
This edition of RSM's EU VAT Group's Indirect Tax Update includes Italy, Netherlands, Switzerland, Belgium, France, Hungary and the UK. Please download here or read below.

The new R&D tax credit introduced by the 2015 Stability Law

12 November 2015
In last couple of years, the Research & Development (R&D) Tax Incentive has caught significant importance in the international scenario, particularly in times of strong economic recession where innovation is seen as a key driver to encourage investments and produce economic growth.

New measures make Italian tax system more competitive

7 October 2015
On 21 April 2015 the Italian Government issued a package of measures (International Tax Decree and Certainty Decree) which significantly changes the tax rules applicable to cross-border operations and gives a specific definition to the concept of abuse of law and tax avoidance.

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