Tax holidays
Not applicable for this jurisdiction.
Tax rulings
On certain issues, taxpayers can file a ruling request to ask for the interpretation of a specific ruling issue by the tax authority. Companies with international activities are entitled to apply for a specific mutual agreement procedure (MAP) concerning international aspects (transfer pricing, permanent establishments and dividends/interests/royalties flows, also with respect to double tax treaties). Another special procedure is provided for companies that plan to invest not less than EUR30 million in Italy, in order to ascertain the tax consequences of an investment plan and/or the tax consequences of related extraordinary operations (eg, mergers, acquisitions). Furthermore, major companies (eg, with revenues exceeding EUR1 billion) may enter into a cooperative compliance regime with the Italian tax authorities.
Tax incentives
A number of tax incentives has been introduced and enhanced over years, with a special attention to the so-called Industry 4.0 Plan. Among others, it is worth mentioning the tax credit for R&D expenses, and the tax credit on investments in certain business assets. Other special provisions are set out for small enterprises and investments in Southern Italy.
Starting from 2024, the notional deduction for capital injection (so-called ACE) is repealed. Notwithstanding, unused ACE surpluses in the 2023 return may be carried forward to future years.